Fisheries of the Caribbean, Gulf of Mexico, and South Atlantic; Reef Fish Fishery of the Gulf of Mexico; Petition for Emergency Rulemaking for Red Snapper, 53142-53146 [05-17713]
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53142
Federal Register / Vol. 70, No. 172 / Wednesday, September 7, 2005 / Proposed Rules
Dated: August 17, 2005.
Marvin E. Moriarty,
Regional Director, Region 5.
[FR Doc. 05–17672 Filed 9–6–05; 8:45 am]
rulemaking on March 29, 2005. NMFS
published a notice of receipt of petition
for rulemaking on May 12, 2005 (70 FR
39700), and invited public comments
for 60 days ending July 11, 2005.
Summaries of and responses to
comments are provided in the Response
to Public Comments section below.
BILLING CODE 4310–55–P
DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric
Administration
50 CFR Part 622
[I.D. 050405E]
Fisheries of the Caribbean, Gulf of
Mexico, and South Atlantic; Reef Fish
Fishery of the Gulf of Mexico; Petition
for Emergency Rulemaking for Red
Snapper
National Marine Fisheries
Service (NMFS), National Oceanic and
Atmospheric Administration (NOAA),
Commerce.
ACTION: Denial of a petition for
emergency rulemaking.
AGENCY:
SUMMARY: NMFS announces its decision
to deny a petition for emergency or
interim rulemaking under the
Administrative Procedure Act (APA)
and Magnuson-Stevens Fishery
Conservation and Management Act
(Magnuson-Stevens Act). The Coastal
Conservation Association (CCA), a
marine conservation group composed of
approximately 90,000 members,
petitioned the U.S. Department of
Commerce to immediately promulgate
an emergency or interim rule under the
Magnuson-Stevens Act to prevent
overfishing of red snapper resulting
from bycatch in the shrimp trawl fishery
of the Gulf of Mexico. NMFS finds the
emergency or interim rulemaking is not
warranted, and additional management
measures to end overfishing of red
snapper would better be addressed
through a Gulf of Mexico Fishery
Management Council (Council)
regulatory amendment and development
of a fishery management plan (FMP)
amendment.
ADDRESSES: Copies of the NMFS
decision on the CCA petition are
available from Phil Steele, NMFS,
Southeast Regional Office, 263 13th
Avenue South, St. Petersburg, FL 33701;
telephone: 727–824–5305, and via
internet at: https://sero.nmfs.noaa.gov.
FOR FURTHER INFORMATION CONTACT: Phil
Steele, Fishery Administrator, NMFS,
Southeast Regional Office; telephone:
727–824–5305; e-mail:
phil.steele@noaa.gov.
SUPPLEMENTARY INFORMATION: CCA filed
a petition for emergency or interim
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reduction measures. In addition, the
petition states a firm bycatch reduction
target of 60–80 percent of historic levels
should be set, with a time line to
achieve the target within the shortest
period possible. The petition also
proposes a mandated effort reduction
program for the Gulf shrimp fleet.
The Petition
The petition filed by CCA states the
red snapper stock in the Gulf of Mexico
is overfished and undergoing
overfishing. Although the petition
acknowledges the directed red snapper
commercial and recreational sectors
share responsibility for rebuilding the
stock, it asserts the failure of bycatch
reduction devices (BRDs) required in
the commercial shrimp fishery to meet
established bycatch reduction standards
makes recovery of the Gulf red snapper
fishery unlikely and ensures years of
continued overfishing of this stock. The
petition states the directed recreational
and commercial red snapper sectors
have already adopted many measures
necessary to rebuild the stock. The
petition seeks emergency regulations or
interim measures to stop the overfishing
resulting from excessive bycatch of
juvenile red snapper in the Gulf shrimp
fishery. The petition also suggests
management measures such as bag
limits and total allowable catch
restrictions would be applicable to the
directed red snapper fishery.
The CCA petition states the
prevention of overfishing and recovery
of the red snapper stock is predicated on
at least a 44–percent reduction from the
average level of bycatch mortality on
juvenile red snapper, age 0 and age 1,
by the Gulf shrimp fishery during the
years 1984–1989. Further, because
recent research indicates current BRD
use, in practice, yields only a 12–
percent bycatch reduction, CCA argues
that the existing plan for preventing
overfishing and rebuilding the red
snapper stock must be declared a
failure. CCA asserts the fisheries
regulatory establishment is plainly
aware of red snapper overfishing by the
shrimp trawl fishery, but has failed to
take corrective action. The petition
requests NMFS immediately initiate
emergency regulations or interim
measures resulting in bycatch reduction
sufficient to allow the red snapper stock
to rebuild within the time period
established in the Reef Fish Fishery
Management Plan (Reef Fish FMP). The
petition states such bycatch reduction
measures should include strict bycatch
quotas tracked by observer data, time
and area closures or restrictions,
improved BRDs, season limitations,
seasonal closures, and/or other
History of NMFS and Council Efforts to
Reduce Bycatch in the Shrimp Fishery
Efforts to rebuild the red snapper
stock are complicated by significant
amounts of bycatch in the shrimp
fishery. Ending overfishing and
allowing the stock to rebuild cannot
occur through regulations on the
directed red snapper fishery alone. The
shrimp fishery annually removes 25 to
45 million juvenile red snapper
(approximately 2–5 million lb (0.9–2.3
million kg)), primarily from the western
Gulf, whereas the directed fishery
removes approximately 4 million adult
fish (approximately 9 million lb (4.1
million kg)) annually. The success of the
red snapper rebuilding plan depends
heavily on reductions in shrimp trawl
bycatch.
The Council recognized the inherent
need to reduce red snapper bycatch in
the shrimp fishery in 1997 when they
approved Amendment 9 to the Shrimp
Fishery Management Plan (Shrimp
FMP). The purpose of this amendment
was to reduce unwanted bycatch of
juvenile red snapper in the shrimp
fishery and, to the extent practicable,
not adversely affect the shrimp fishery.
Because of substantial fishing mortality
on juvenile red snapper and the need to
rebuild the overfished stock, the
Council considered development and
use of BRDs and other management
measures to reduce bycatch. The
Council approved a goal for reducing
red snapper bycatch by 44 percent from
the average annual mortality of age–0
and age–1 red snapper during 1984–
1989. Upon approval of Amendment 9,
the fisheye BRD and Andrews Turtle
Excluder Device (Andrews TED) were
the only two devices determined to be
capable of reducing bycatch by the
required amount; however, the Andrews
TED was proposed to be certified as a
BRD only during a time when and in a
geographical area where it is an
approved TED. On December 19, 1997,
approval of the Andrews TED, as a TED,
was withdrawn; therefore, the Andrews
TED was not certified as a BRD in the
final rule implementing Amendment 9.
However, the framework procedure
approved by the Council in Amendment
9 allowed for additional BRDs to be
certified by NMFS. Cooperative
industry/government research available
in 1997 indicated the approved BRDs
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would reduce red snapper bycatch by 58
to 77 percent.
In 1998, an intensive monitoring
effort quantified the effectiveness of the
mandatory use of certified BRDs and
evaluated the effectiveness of
uncertified BRDs. The study found there
were performance problems with the
fisheye BRD in some configurations, and
regulations were amended to modify the
allowable placement of the fisheye BRD
to improve performance and bycatch
reduction. In 1999, BRD testing and
certification procedures were
established, and two new BRDs, the
Jones-Davis BRD and ‘‘Gulf’’ fisheye
BRD, were certified by NMFS after
determining they exceeded the bycatch
reduction goal. Available data in 1999
indicated these BRDs reduced red
snapper mortality by 52 to 70 percent.
Monitoring the performance of BRDs
in the fishery continued through an
observer program from 1999 to 2003,
during which time the Council began
development of a regulatory
amendment, and subsequently
Amendment 22 to the Reef Fish FMP.
The Council submitted a rebuilding
plan to NMFS through a regulatory
amendment in 2001. This amendment
was returned to the Council by NMFS
with a request to further explore
alternative rebuilding plans based on
realistic expectations for future
reductions in shrimp trawl bycatch, and
to more fully evaluate the effects of
alternatives to reduce bycatch through a
supplemental environmental impact
statement. In 2004, the Council
approved Amendment 22, which
established a rebuilding plan for red
snapper based on the results of the 1999
stock assessment. The rebuilding plan
was projected to end overfishing by
2009 or 2010, and rebuild the stock by
2032. The amendment called for large
reductions in bycatch mortality from the
shrimp fishery to be achieved either
through technological means, such as
improved BRD designs, and/or
reductions in shrimp fishing effort. The
selected rebuilding plan recognized the
need for periodic reviews of the stock
status to ensure the rebuilding plan was
adequately progressing toward the
rebuilding goal. Review of the plan was
designed to incorporate new
information and to address
unanticipated developments in the red
snapper and shrimp fisheries, and to
make appropriate adjustments in red
snapper regulations should insufficient
or unexpectedly rapid rebuilding
progress occur.
In May 2004, the Council was
presented with the results of the
ongoing BRD observer study mentioned
above. This study indicated BRDs,
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under actual fishing conditions, were
reducing red snapper bycatch by 11.7
percent, which was far less than
previously documented during research
trials. The study noted several changes
in fishing practices and gear
characteristics (e.g., increased haulback
speeds, illegal BRD placement) reduced
the performance of the fisheye BRD, the
most commonly used BRD in the shrimp
fishery. Results from a majority of trips
where observers were aboard revealed
BRDs were often placed in illegal net
positions, resulting in poor BRD
performance. However, BRD
performance also was noted to be poor
for legal installations due largely to
alterations in fishing practices.
The results of this BRD observer study
were incorporated into the 2005 red
snapper stock assessment, which
concluded red snapper continued to be
overfished and undergoing overfishing.
The conclusions of the assessment were
consistent with previous assessments
despite changes in stock status criteria
and assessment methods. The Southeast
Data, Assessment, and Review (SEDAR)
Assessment Review Panel concluded
red snapper fishing mortality rates are
too high for both the directed fishery
and shrimp fishery, and reductions in
fishing mortality for both sectors would
be needed to rebuild the stock.
Response to Assertions and Proposed
Management Measures Set Forth in the
Petition
NMFS disagrees with CCA’s assertion
that management has failed to take
action to address the problem of shrimp
trawl bycatch of red snapper. As new
information and research have become
available, NMFS and the Council have
taken corrective action to improve BRD
performance and reduce shrimp trawl
bycatch. Changes in both fishing
practices and gear characteristics have
significantly reduced the overall
performance of BRDs relative to bycatch
reduction rates previously documented
during field trials. NMFS recognizes the
success of the rebuilding plan is heavily
dependent on reductions in shrimp
trawl bycatch and effort. Amendment 22
acknowledged additional reductions in
bycatch may be required in the future if
reductions are not adequate through
technological improvements. The
Council also specified a periodic review
of the rebuilding plan in order to make
appropriate adjustments in red snapper
regulations when new information, such
as the most recent stock assessment and
BRD performance research, became
available.
NMFS agrees with CCA’s assertion
that existing certified BRDs are now not
achieving established reduction
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standards and additional reductions in
shrimp trawl bycatch are needed to
rebuild the stock. The rebuilding plan
calls for large reductions in shrimp
effort to occur through technological
means and reductions in shrimp effort.
Current BRD observer studies indicate
only a 12–percent reduction in red
snapper bycatch is occurring, which is
well below the reduction needed to
rebuild the stock. However, as indicated
in Amendment 22 to the Reef Fish FMP,
reductions in shrimp trawl bycatch are
occurring as a result of reduced fishing
effort associated with adverse economic
conditions in the shrimp fishery
resulting from increased competition
from shrimp imports and rising fuel
costs. Future declines in shrimp effort
are predicted for large shrimp vessels
(greater than or equal to 60 ft (18.3 m)
in length). Such declines are likely to
increase the rate of red snapper stock
rebuilding and reduce fishing related
bycatch in the early years of the
rebuilding plan, aside from any
management actions to reduce harvest.
Since 2002, an 18–percent decrease in
shrimp effort has occurred. Shrimp
effort has decreased by 26–percent since
the late 1980s, resulting in lower fishing
mortality rates on juvenile red snapper
in more recent years.
Based on the most recent stock
assessment, fishing mortality rates in all
sectors of the fishery are too high, and
the Council will need to consider
reducing fishing mortality rates to
rebuild the stock. As explained in the
Agency Decision section of this notice,
NMFS believes actions to revise the red
snapper rebuilding plan and reduce
shrimp trawl bycatch are best addressed
through Council regulatory amendment
and FMP amendment, rather than
emergency rule. The Council directed
staff during their August 2005 Council
meeting to begin immediately working
on a regulatory amendment to modify
certification procedures and protocols
for BRDs, including decertification of
ineffective BRDs and certification of
new BRDs capable of achieving
necessary reductions in finfish bycatch.
The Council also directed staff to begin
developing a joint reef fish/shrimp plan
amendment that revises the red snapper
rebuilding plan and addresses bycatch
in both the directed red snapper fishery
and shrimp fishery. NMFS agrees many
of the measures proposed by CCA to
address shrimp trawl bycatch should be
considered in the plan amendment.
NMFS and the Council have already
begun to address effort limitation in the
shrimp fishery and monitoring of
shrimp bycatch. In May 2005, the
Council approved Amendment 13 to the
Shrimp FMP. This amendment, if
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approved by NMFS, would establish a
moratorium on shrimp licenses and
allow for closer monitoring of the
shrimp fishery in two ways. First,
electronic logbook reporting, which
tracks fishing effort (number of trips,
length of trips, locations, etc.), would be
required for commercial shrimp vessel
permit holders. Second, the observer
program would include bycatch
reporting which will produce estimates
of total annual finfish and invertebrate
bycatch. The Council believes these
actions will provide the best
information to track effort and evaluate
bycatch and modified BRD performance
without unduly interfering with shrimp
fishery operations. NMFS expects that
Amendment 13, if approved, would be
implemented early in 2006. The level of
coverage for monitoring bycatch through
the use of electronic logbooks and
observers may vary with the availability
of funding. Until such time as
additional funding is available,
management measures such as bycatch
quotas would be impractical to consider
for the shrimp fishery.
The Council previously considered
area and seasonal closures for reducing
finfish bycatch in Amendments 9 and
10 to the Shrimp FMP. The Council
rejected these measures because they
were deemed costly and ineffective, and
research at the time indicated BRDs
reduced bycatch at a lower cost. Current
regulations include several seasonal and
area closures throughout the Gulf of
Mexico in which trawling is prohibited.
Trawl gear is also precluded from
numerous areas throughout the Gulf
because of oil and gas platforms, hard
bottom habitat, and artificial reefs. The
intent of existing seasonal and area
closures is to protect small shrimp and
habitat and reduce user conflicts. These
closures were not intended to reduce
bycatch, although this is an indirect
benefit of these management actions.
The Council considered a scoping
document for Amendment 14 to the
Shrimp FMP at their August 2005
meeting. The scoping document
contained alternatives for further
reducing shrimp bycatch, reducing
shrimp effort, modifying bycatch
reduction criteria, eliminating latent
effort in the shrimp fishery, and
requiring vessel monitoring systems
aboard shrimp vessels. NMFS will
continue to work closely with the
Council to further develop a joint
Shrimp and Reef Fish plan amendment
evaluating these shrimp fishery bycatch
alternatives, as well as alternatives for
rebuilding the red snapper stock and
reducing bycatch in the directed red
snapper fishery.
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The petition also proposes setting a
firm target for bycatch reduction of
between 60 and 80 percent of historic
levels, with a time line established to
achieve the target within the shortest
period possible. NMFS believes the
target bycatch reduction goal should be
set based on the results of the most
recent stock assessment, taking into
account the time needed to rebuild the
stock and the practicability of further
reductions in shrimp trawl bycatch.
Response to Comments
NMFS received 7,630 form letters in
favor of the petition to end overfishing
of red snapper by minimizing shrimp
trawl bycatch. NMFS received an
additional 23 letters in response to the
petition. Of those 23 letters, 12
commenters supported the petition, and
11 commenters urged the petition be
rejected or denied. NMFS’ responses to
these comments are provided below.
Comment 1: A group of commenters
stated the Federal government has failed
to end overfishing of red snapper by the
shrimp fishery despite legal
requirements, and significant action is
necessary to reduce bycatch and restore
the red snapper stock.
Response: The 2005 red snapper stock
assessment indicated red snapper were
overfished and undergoing overfishing.
NMFS agrees action is needed to reduce
bycatch in both the shrimp fishery and
the directed red snapper fishery. Despite
previous actions by NMFS and the
Council to improve BRD performance
and reduce shrimp trawl bycatch of red
snapper, as explained in the History of
NMFS and Council Efforts to Reduce
Bycatch in the Shrimp Fishery section
of this document, overfishing has
continued. Changes in both fishing
practices and gear characteristics have
significantly reduced the overall
effectiveness of BRDs relative to the
bycatch reduction rates documented
during field trials. The Council
recognized the need to address such
changes during rebuilding by
periodically reviewing the status of the
stock to ensure the rebuilding plan is
adequately meeting rebuilding goals.
Should insufficient or unexpectedly
rapid rebuilding progress occur, NMFS
and the Council intend to make
appropriate adjustments to regulations
to address unanticipated developments
in the red snapper and shrimp fisheries.
Comment 2: Eight commenters in
favor of the petition stated the shrimp
fishery has impacted the recreational
fishery economically and hindered
further economic gains the recreational
sector could experience.
Response: NMFS recognizes bycatch
increases the mortality of any species
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over what would otherwise occur due to
natural mortality and any directed
fishery for that species. As such, this
additional mortality reduces the
potential harvest and economic activity
associated with that species. This
situation is not unique to shrimp trawl
bycatch and recreational fisheries. In
addition to requiring bycatch be
reduced to the extent practicable, the
Magnuson-Stevens Act requires
management measures provide for the
sustained participation of fishing
communities. This requirement
recognizes the sociocultural importance
of fisheries and the impracticability of
reducing all values associated with a
resource to monetary terms. Thus,
current regulations in the shrimp fishery
have been developed to both minimize
bycatch and maintain the fishing
communities depending upon this
fishery as well as other related fisheries.
Comment 3: Several commenters
indicated the petition failed to address
the recent decrease in shrimp effort and
its effects on reducing red snapper
bycatch. These commenters identified
four reasons for reductions in shrimp
effort: (1) The cap on the number of
commercial shrimp licenses has
decreased participation in the fishery to
a huge degree; (2) the required use of
TEDs and BRDs has made it more
difficult for license holders to make a
living; (3) fuel costs have increased
drastically, and, (4) the amount of
imported, farm-raised shrimp has been
increasing and is unfairly driving down
the price of domestic shrimp.
Response: NMFS agrees the petition
did not address recent decreases in
shrimp effort, nor the aforementioned
reasons for that effort reduction. These
reductions in effort have been factored
into recent management actions for
shrimp and red snapper, including
Amendment 13 to the Shrimp FMP,
Amendment 22 to the Reef Fish FMP,
and the 2005 red snapper stock
assessment. Although some individuals
may dispute effort estimates, these
estimates were thoroughly reviewed
during the 2004–2005 SEDAR
workshops for red snapper and are
considered the best available scientific
information. Analyses predict
reductions in the number of large
vessels (>60 ft (>18.3 m)), which
primarily operate in offshore waters and
are expected to encounter more red
snapper than smaller vessels, will be the
primary source of future reductions in
shrimp trawl bycatch. Between 2002
and 2004, offshore shrimp effort was
predicted to decline by 16 percent;
actual reductions in shrimp effort
during this time declined by 18 percent.
Projections indicate effort for large
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shrimp vessels will continue to decline
significantly through 2011, ending at a
point 34 percent less than effort levels
in 2002.
The Council approved Amendment 13
to the Shrimp FMP at their May 2005
meeting. If approved by NMFS, this
amendment will establish several
management measures, including a
moratorium on commercial shrimp
permits. NMFS has yet to implement the
cap on commercial shrimp licenses and,
therefore, the cap has not reduced
participation in the shrimp fishery to
date.
The use of TEDs and BRDs has likely
made it more difficult for some
shrimpers to make a living. TEDs and
BRDs not only reduce finfish and turtle
bycatch, they also result in some shrimp
loss, which economically impacts the
profits of shrimpers. When the Council
approved Amendment 9 to the Shrimp
FMP in 1997, research indicated BRDs
reduced bycatch at a lower cost than
other management measures, such as
seasonal and area closures. Recent
NMFS observer data indicate many
shrimpers have changed fishing
practices and gear characteristics to
reduce shrimp loss; as a result, BRD
performance has decreased.
The declining profitability of the
shrimp industry is attributed to lower
prices, due to competition from imports,
and to higher fuel prices, which
increased 21–29 percent from 2002 to
2003. Fuel costs represent a significant
portion of the industry’s operating
expenses, and fluctuations in fuel costs
can significantly affect the industry’s
economic performance. Increases in
shrimp imports have been the primary
cause of the recent decline in U.S.
shrimp prices. Recent surges in imports
have been caused by increases in the
production of foreign, farm- raised
shrimp.
Comment 4: One commenter stated
the petition was based on old
information and new information is
now available. The commenter stated
the new information was incorporated
into the new assessment, but was not
acknowledged in the petition, and
taking action would be imprudent until
completion of the new assessment.
Response: NMFS concurs that it
would be prudent to wait for the
findings of the new assessment before
taking action. A red snapper stock
assessment was completed in 2005 and
represents the best available science
regarding the current status of the stock.
NMFS believes additional management
measures to achieve reductions in
bycatch mortality should take into
account the results of this stock
assessment and would best be addressed
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by the Council through regulatory
amendment and development of a plan
amendment. The Council discussed the
results of the 2005 red snapper stock
assessment at their August 2005 meeting
and requested the NMFS Southeast
Fisheries Science Center begin
evaluating rebuilding scenarios for red
snapper and the necessary shrimp trawl
bycatch reductions associated with the
scenarios.
Comment 5: Several commenters
stated the impact of recreational fishing
was not acknowledged in the petition,
and this fishing was a huge factor in the
red snapper decline.
Response: The petition acknowledges
recovery of the red snapper stock is not
based on bycatch reduction alone.
However, the petition states the directed
recreational and commercial fisheries
have already adopted many
management measures in an effort to
rebuild the red snapper stock. Based on
the most recent stock assessment, red
snapper fishing mortality rates in both
the directed fishery and the shrimp
fishery are too high and each sector
must share responsibility for rebuilding
the stock.
Comment 6: One commenter stated
the growth of offshore recreational
fishing boats has had a huge impact on
red snapper and all other reef fish
species. Another commenter asserted
recreational bag limits for red snapper
are regularly exceeded with no
penalties, and this was the primary
problem with management of the stock.
Response: NMFS agrees the number of
recreational fishing vessels and fishing
effort have increased in recent years.
Despite this increase in fishing effort
and vessels, red snapper landings have
been at or near the 4.47–million lb
(2.03–million kg) quota. Recreational
landings overages have occurred in
some years, but landings have also been
well below the quota during other years.
Management measures imposed by the
Council and NMFS, such as bag limits,
closed seasons, size limits, and a
moratorium on for-hire vessel permits,
are intended to limit overall red snapper
landings and effort. The U.S. Coast
Guard, NMFS Law Enforcement, and
state enforcement agencies enforce these
regulations, and penalties exist if
regulations are violated.
Comment 7: One commenter asserted
the bycatch of undersized red snapper
by recreational fishermen is substantial.
Response: NMFS agrees bycatch of
undersized fish in the directed fishery
should be addressed. The 2005 red
snapper stock assessment used a range
of release mortality rates for the directed
commercial and recreational red
snapper fisheries. These release
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mortality rates ranged from 15 to 80
percent depending on depth and time
fished. The Council has begun
developing a plan amendment to
address bycatch in both the directed red
snapper fishery and shrimp fishery.
Comment 8: One commenter stated
studies show the importance of
protecting large spawners to ensure red
snapper sustainability, and implied
recreational fishing has a much greater
effect on these large fish than
commercial fishing, such as longlining.
Response: NMFS agrees it is
important to protect mature red
snapper. Red snapper mature as early as
2 years of age and 10–12 inches (25–30
cm) fork length. They do not reach peak
reproductive productivity until
approximately 15 to 20 years of age.
Current fishing practices directly affect
the reproductive potential of the stock
because red snapper are primarily
caught well below the age at maximum
fecundity. The commercial longline
fishery typically harvests older red
snapper (mean age of 7–8 years), while
the commercial and recreational
handline fisheries harvest younger red
snapper (mean age of 2 to 4 years).
However, the commercial longline
fishery accounts for only a small portion
of the overall commercial harvest of red
snapper (less than 4 percent of the
overall commercial harvest).
Agency Decision
After considering the assertions and
proposed management measures set
forth in the CCA petition and all public
comments, NMFS has determined the
measures requested by the petition
should not be addressed via emergency
or interim rulemaking at this time.
NMFS agrees bycatch mortality of red
snapper in the Gulf shrimp fleet
adversely affects red snapper and its
ability to rebuild. NMFS believes it is
important to address bycatch mortality
of red snapper by the shrimp fleet, but
this issue does not represent an
emergency as defined in NMFS policy
guidance for the use of emergency rules
(62 FR 44421, August 21, 1997).
Overfishing of red snapper is not an
unforeseen event and, therefore, does
not constitute an emergency.
Interim measures can be useful to
address recently discovered issues for
which no long-term strategies have been
devised. However, NMFS believes longterm measures are more appropriate
than interim measures to address
overfishing of red snapper. The Council
and NMFS have established, and are in
the process of implementing, a longterm rebuilding plan for red snapper to
phase-out overfishing by 2009 or 2010
and rebuild the fishery by 2032, as
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defined in the Magnuson-Stevens Act
(§ 303(e)(4)). As anticipated in the
rebuilding plan, implementation
includes periodic adjustments based on
new scientific information. The 2005
red snapper stock assessment indicates
the level of reduction necessary to
eliminate overfishing is dependent on
the objectives and rebuilding scenario
selected. The Council will need to
evaluate those factors carefully prior to
taking action to implement appropriate
reductions to end overfishing and
rebuild the stock.
Finally, emergency and interim
regulations are not appropriate for
addressing such actions as changes to
BRDs, because these changes would
require substantial time for gear
development, manufacturing, and
training and distribution for re-outfitting
of shrimp nets. Emergency and interim
measures can only be implemented for
180 days and can be extended for an
additional 180 days if necessary
conditions are met. It is likely that such
measures would result in a regulatory
lapse before longer-term measures could
be implemented.
NMFS believes additional
management measures to achieve
reductions in bycatch mortality should
take into account the results of the most
recent red snapper stock assessment and
would best be addressed through
Council regulatory amendment and
development of a plan amendment. The
Council directed staff during their
August 2005 Council meeting to begin
immediately working on a regulatory
amendment to modify certification
procedures and protocols for BRDs,
including decertification of ineffective
BRDs and certification of new BRDs
capable of achieving necessary
reductions in finfish bycatch. This
regulatory amendment is expected to be
completed in mid–2006. The Council
also directed staff to begin developing a
joint reef fish and shrimp plan
amendment that revises the red snapper
rebuilding plan and addresses bycatch
in both the directed red snapper fishery
and shrimp fishery. This plan
amendment is expected to be completed
by late–2006. By addressing bycatch
mortality, management measures, and
the red snapper rebuilding plan in this
way, the public will be afforded more
opportunities to comment and
participate in the rulemaking process,
and long-term measures to address the
issues can be implemented.
Authority: 16 U.S.C. 1801 et seq.
VerDate Aug<18>2005
15:04 Sep 06, 2005
Jkt 205001
Dated: August 31, 2005.
Emily Menashes,
Acting Director, Office of Sustainable
Fisheries, National Marine Fisheries Service.
[FR Doc. 05–17713 Filed 9–6–05; 8:45 am]
BILLING CODE 3510–22–S
DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric
Administration
50 CFR Part 635
[I.D. 051603C]
RIN 0648–AQ65
Atlantic Highly Migratory Species;
Amendments to the Fishery
Management Plan (FMP) for Atlantic
Tunas, Swordfish, and Sharks and the
FMP for Atlantic Billfish
National Marine Fisheries
Service (NMFS), National Oceanic and
Atmospheric Administration (NOAA),
Commerce.
ACTION: Cancelling and changing the
location and time of certain public
hearings.
AGENCY:
SUMMARY: Due to the damage caused by
Hurricane Katrina, NMFS is cancelling
two public hearings on the draft
consolidated Highly Migratory Species
(HMS) Fishery Management Plan (FMP)
and proposed rule that were scheduled
for September 6 and September 8, 2005,
in Orange Beach, AL, and New Orleans,
LA, respectively. NMFS intends to
reschedule the September 6 Orange
Beach and September 8 New Orleans
public hearings at a later date. In
addition, NMFS has changed the
location and time of the public hearing
that was scheduled to be held in Fort
Lauderdale, FL, on October 3, 2005, at
the African American Arts and Cultural
Center Research Library. The draft
consolidated HMS FMP and the
proposed rule describe a range of
management measures that could
impact fishermen and dealers for all
HMS fisheries.
DATES: The Fort Lauderdale public
hearing will still be held on Monday,
October 3, 2005. However, the new time
will be from 7 - 10 p.m. The hearings
scheduled for September 6 and
September 8, 2005, in Orange Beach,
AL, and New Orleans, LA, have been
cancelled and will be rescheduled at a
later date.
ADDRESSES: The new location of the Fort
Lauderdale public hearing will be the
Broward County Main Library, 100
South Andrews Avenue, Fort
Lauderdale, FL 33301.
PO 00000
Frm 00044
Fmt 4702
Sfmt 4702
FOR FURTHER INFORMATION CONTACT:
Heather Stirratt or Karyl Brewster-Geisz
at (301) 713–2347.
SUPPLEMENTARY INFORMATION: The
Atlantic HMS fisheries are managed
under the dual authority of the
Magnuson-Stevens Fishery
Conservation and Management Act
(Magnuson-Stevens Act) and the
Atlantic Tunas Convention Act (ATCA).
The FMP for Atlantic Tunas, Swordfish,
and Sharks, finalized in 1999, and the
FMP for Atlantic Billfish, finalized in
1988, are implemented by regulations at
50 CFR part 635.
On August 19, 2005 (70 FR 48804),
NMFS published a proposed rule that,
among other things, announced the
availability of the draft consolidated
HMS FMP. Included in this proposed
rule was a list of 24 public hearings
throughout September and October
2005. These hearings are scheduled for
NMFS to receive comments from fishery
participants and other members of the
public regarding the proposed rule and
draft HMS FMP. Due to the damage
caused by Hurricane Katrina, NMFS is
cancelling two public hearings that were
scheduled for September 6 and
September 8, 2005, in Orange Beach,
AL, and New Orleans, LA, respectively.
NMFS intends to reschedule the public
hearings once the amount of damaged
caused by Hurricane Katrina in the
affected Gulf region has been assessed
and the appropriate locations can be
determined. NMFS may extend the
comment period, if necessary, to ensure
adequate opportunities for public
comment by constituents in the affected
Gulf region. Notification of the new
dates and locations would be published
in the Federal Register.
In addition, NMFS has changed the
location and time of the public hearing
that was scheduled to be held in Fort
Lauderdale, FL, on October 3, 2005, at
the African American Arts and Cultural
Center Research Library (see DATES and
ADDRESSES). This change was due to
concerns raised by a constituent
regarding public safety. NMFS verified
these concerns with local law
enforcement. The schedule for the other
public hearings remains unchanged.
The public is reminded that NMFS
expects participants at the public
hearings to conduct themselves
appropriately. At the beginning of each
public hearing, a NMFS representative
will explain the ground rules (e.g.,
alcohol is prohibited from the hearing
room; attendees will be called to give
their comments in the order in which
they registered to speak; each attendee
will have an equal amount of time to
speak; and attendees should not
E:\FR\FM\07SEP1.SGM
07SEP1
Agencies
[Federal Register Volume 70, Number 172 (Wednesday, September 7, 2005)]
[Proposed Rules]
[Pages 53142-53146]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 05-17713]
=======================================================================
-----------------------------------------------------------------------
DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric Administration
50 CFR Part 622
[I.D. 050405E]
Fisheries of the Caribbean, Gulf of Mexico, and South Atlantic;
Reef Fish Fishery of the Gulf of Mexico; Petition for Emergency
Rulemaking for Red Snapper
AGENCY: National Marine Fisheries Service (NMFS), National Oceanic and
Atmospheric Administration (NOAA), Commerce.
ACTION: Denial of a petition for emergency rulemaking.
-----------------------------------------------------------------------
SUMMARY: NMFS announces its decision to deny a petition for emergency
or interim rulemaking under the Administrative Procedure Act (APA) and
Magnuson-Stevens Fishery Conservation and Management Act (Magnuson-
Stevens Act). The Coastal Conservation Association (CCA), a marine
conservation group composed of approximately 90,000 members, petitioned
the U.S. Department of Commerce to immediately promulgate an emergency
or interim rule under the Magnuson-Stevens Act to prevent overfishing
of red snapper resulting from bycatch in the shrimp trawl fishery of
the Gulf of Mexico. NMFS finds the emergency or interim rulemaking is
not warranted, and additional management measures to end overfishing of
red snapper would better be addressed through a Gulf of Mexico Fishery
Management Council (Council) regulatory amendment and development of a
fishery management plan (FMP) amendment.
ADDRESSES: Copies of the NMFS decision on the CCA petition are
available from Phil Steele, NMFS, Southeast Regional Office, 263 13th
Avenue South, St. Petersburg, FL 33701; telephone: 727-824-5305, and
via internet at: https://sero.nmfs.noaa.gov.
FOR FURTHER INFORMATION CONTACT: Phil Steele, Fishery Administrator,
NMFS, Southeast Regional Office; telephone: 727-824-5305; e-mail:
phil.steele@noaa.gov.
SUPPLEMENTARY INFORMATION: CCA filed a petition for emergency or
interim rulemaking on March 29, 2005. NMFS published a notice of
receipt of petition for rulemaking on May 12, 2005 (70 FR 39700), and
invited public comments for 60 days ending July 11, 2005. Summaries of
and responses to comments are provided in the Response to Public
Comments section below.
The Petition
The petition filed by CCA states the red snapper stock in the Gulf
of Mexico is overfished and undergoing overfishing. Although the
petition acknowledges the directed red snapper commercial and
recreational sectors share responsibility for rebuilding the stock, it
asserts the failure of bycatch reduction devices (BRDs) required in the
commercial shrimp fishery to meet established bycatch reduction
standards makes recovery of the Gulf red snapper fishery unlikely and
ensures years of continued overfishing of this stock. The petition
states the directed recreational and commercial red snapper sectors
have already adopted many measures necessary to rebuild the stock. The
petition seeks emergency regulations or interim measures to stop the
overfishing resulting from excessive bycatch of juvenile red snapper in
the Gulf shrimp fishery. The petition also suggests management measures
such as bag limits and total allowable catch restrictions would be
applicable to the directed red snapper fishery.
The CCA petition states the prevention of overfishing and recovery
of the red snapper stock is predicated on at least a 44-percent
reduction from the average level of bycatch mortality on juvenile red
snapper, age 0 and age 1, by the Gulf shrimp fishery during the years
1984-1989. Further, because recent research indicates current BRD use,
in practice, yields only a 12-percent bycatch reduction, CCA argues
that the existing plan for preventing overfishing and rebuilding the
red snapper stock must be declared a failure. CCA asserts the fisheries
regulatory establishment is plainly aware of red snapper overfishing by
the shrimp trawl fishery, but has failed to take corrective action. The
petition requests NMFS immediately initiate emergency regulations or
interim measures resulting in bycatch reduction sufficient to allow the
red snapper stock to rebuild within the time period established in the
Reef Fish Fishery Management Plan (Reef Fish FMP). The petition states
such bycatch reduction measures should include strict bycatch quotas
tracked by observer data, time and area closures or restrictions,
improved BRDs, season limitations, seasonal closures, and/or other
reduction measures. In addition, the petition states a firm bycatch
reduction target of 60-80 percent of historic levels should be set,
with a time line to achieve the target within the shortest period
possible. The petition also proposes a mandated effort reduction
program for the Gulf shrimp fleet.
History of NMFS and Council Efforts to Reduce Bycatch in the Shrimp
Fishery
Efforts to rebuild the red snapper stock are complicated by
significant amounts of bycatch in the shrimp fishery. Ending
overfishing and allowing the stock to rebuild cannot occur through
regulations on the directed red snapper fishery alone. The shrimp
fishery annually removes 25 to 45 million juvenile red snapper
(approximately 2-5 million lb (0.9-2.3 million kg)), primarily from the
western Gulf, whereas the directed fishery removes approximately 4
million adult fish (approximately 9 million lb (4.1 million kg))
annually. The success of the red snapper rebuilding plan depends
heavily on reductions in shrimp trawl bycatch.
The Council recognized the inherent need to reduce red snapper
bycatch in the shrimp fishery in 1997 when they approved Amendment 9 to
the Shrimp Fishery Management Plan (Shrimp FMP). The purpose of this
amendment was to reduce unwanted bycatch of juvenile red snapper in the
shrimp fishery and, to the extent practicable, not adversely affect the
shrimp fishery. Because of substantial fishing mortality on juvenile
red snapper and the need to rebuild the overfished stock, the Council
considered development and use of BRDs and other management measures to
reduce bycatch. The Council approved a goal for reducing red snapper
bycatch by 44 percent from the average annual mortality of age-0 and
age-1 red snapper during 1984-1989. Upon approval of Amendment 9, the
fisheye BRD and Andrews Turtle Excluder Device (Andrews TED) were the
only two devices determined to be capable of reducing bycatch by the
required amount; however, the Andrews TED was proposed to be certified
as a BRD only during a time when and in a geographical area where it is
an approved TED. On December 19, 1997, approval of the Andrews TED, as
a TED, was withdrawn; therefore, the Andrews TED was not certified as a
BRD in the final rule implementing Amendment 9. However, the framework
procedure approved by the Council in Amendment 9 allowed for additional
BRDs to be certified by NMFS. Cooperative industry/government research
available in 1997 indicated the approved BRDs
[[Page 53143]]
would reduce red snapper bycatch by 58 to 77 percent.
In 1998, an intensive monitoring effort quantified the
effectiveness of the mandatory use of certified BRDs and evaluated the
effectiveness of uncertified BRDs. The study found there were
performance problems with the fisheye BRD in some configurations, and
regulations were amended to modify the allowable placement of the
fisheye BRD to improve performance and bycatch reduction. In 1999, BRD
testing and certification procedures were established, and two new
BRDs, the Jones-Davis BRD and ``Gulf'' fisheye BRD, were certified by
NMFS after determining they exceeded the bycatch reduction goal.
Available data in 1999 indicated these BRDs reduced red snapper
mortality by 52 to 70 percent.
Monitoring the performance of BRDs in the fishery continued through
an observer program from 1999 to 2003, during which time the Council
began development of a regulatory amendment, and subsequently Amendment
22 to the Reef Fish FMP. The Council submitted a rebuilding plan to
NMFS through a regulatory amendment in 2001. This amendment was
returned to the Council by NMFS with a request to further explore
alternative rebuilding plans based on realistic expectations for future
reductions in shrimp trawl bycatch, and to more fully evaluate the
effects of alternatives to reduce bycatch through a supplemental
environmental impact statement. In 2004, the Council approved Amendment
22, which established a rebuilding plan for red snapper based on the
results of the 1999 stock assessment. The rebuilding plan was projected
to end overfishing by 2009 or 2010, and rebuild the stock by 2032. The
amendment called for large reductions in bycatch mortality from the
shrimp fishery to be achieved either through technological means, such
as improved BRD designs, and/or reductions in shrimp fishing effort.
The selected rebuilding plan recognized the need for periodic reviews
of the stock status to ensure the rebuilding plan was adequately
progressing toward the rebuilding goal. Review of the plan was designed
to incorporate new information and to address unanticipated
developments in the red snapper and shrimp fisheries, and to make
appropriate adjustments in red snapper regulations should insufficient
or unexpectedly rapid rebuilding progress occur.
In May 2004, the Council was presented with the results of the
ongoing BRD observer study mentioned above. This study indicated BRDs,
under actual fishing conditions, were reducing red snapper bycatch by
11.7 percent, which was far less than previously documented during
research trials. The study noted several changes in fishing practices
and gear characteristics (e.g., increased haulback speeds, illegal BRD
placement) reduced the performance of the fisheye BRD, the most
commonly used BRD in the shrimp fishery. Results from a majority of
trips where observers were aboard revealed BRDs were often placed in
illegal net positions, resulting in poor BRD performance. However, BRD
performance also was noted to be poor for legal installations due
largely to alterations in fishing practices.
The results of this BRD observer study were incorporated into the
2005 red snapper stock assessment, which concluded red snapper
continued to be overfished and undergoing overfishing. The conclusions
of the assessment were consistent with previous assessments despite
changes in stock status criteria and assessment methods. The Southeast
Data, Assessment, and Review (SEDAR) Assessment Review Panel concluded
red snapper fishing mortality rates are too high for both the directed
fishery and shrimp fishery, and reductions in fishing mortality for
both sectors would be needed to rebuild the stock.
Response to Assertions and Proposed Management Measures Set Forth in
the Petition
NMFS disagrees with CCA's assertion that management has failed to
take action to address the problem of shrimp trawl bycatch of red
snapper. As new information and research have become available, NMFS
and the Council have taken corrective action to improve BRD performance
and reduce shrimp trawl bycatch. Changes in both fishing practices and
gear characteristics have significantly reduced the overall performance
of BRDs relative to bycatch reduction rates previously documented
during field trials. NMFS recognizes the success of the rebuilding plan
is heavily dependent on reductions in shrimp trawl bycatch and effort.
Amendment 22 acknowledged additional reductions in bycatch may be
required in the future if reductions are not adequate through
technological improvements. The Council also specified a periodic
review of the rebuilding plan in order to make appropriate adjustments
in red snapper regulations when new information, such as the most
recent stock assessment and BRD performance research, became available.
NMFS agrees with CCA's assertion that existing certified BRDs are
now not achieving established reduction standards and additional
reductions in shrimp trawl bycatch are needed to rebuild the stock. The
rebuilding plan calls for large reductions in shrimp effort to occur
through technological means and reductions in shrimp effort. Current
BRD observer studies indicate only a 12-percent reduction in red
snapper bycatch is occurring, which is well below the reduction needed
to rebuild the stock. However, as indicated in Amendment 22 to the Reef
Fish FMP, reductions in shrimp trawl bycatch are occurring as a result
of reduced fishing effort associated with adverse economic conditions
in the shrimp fishery resulting from increased competition from shrimp
imports and rising fuel costs. Future declines in shrimp effort are
predicted for large shrimp vessels (greater than or equal to 60 ft
(18.3 m) in length). Such declines are likely to increase the rate of
red snapper stock rebuilding and reduce fishing related bycatch in the
early years of the rebuilding plan, aside from any management actions
to reduce harvest. Since 2002, an 18-percent decrease in shrimp effort
has occurred. Shrimp effort has decreased by 26-percent since the late
1980s, resulting in lower fishing mortality rates on juvenile red
snapper in more recent years.
Based on the most recent stock assessment, fishing mortality rates
in all sectors of the fishery are too high, and the Council will need
to consider reducing fishing mortality rates to rebuild the stock. As
explained in the Agency Decision section of this notice, NMFS believes
actions to revise the red snapper rebuilding plan and reduce shrimp
trawl bycatch are best addressed through Council regulatory amendment
and FMP amendment, rather than emergency rule. The Council directed
staff during their August 2005 Council meeting to begin immediately
working on a regulatory amendment to modify certification procedures
and protocols for BRDs, including decertification of ineffective BRDs
and certification of new BRDs capable of achieving necessary reductions
in finfish bycatch. The Council also directed staff to begin developing
a joint reef fish/shrimp plan amendment that revises the red snapper
rebuilding plan and addresses bycatch in both the directed red snapper
fishery and shrimp fishery. NMFS agrees many of the measures proposed
by CCA to address shrimp trawl bycatch should be considered in the plan
amendment.
NMFS and the Council have already begun to address effort
limitation in the shrimp fishery and monitoring of shrimp bycatch. In
May 2005, the Council approved Amendment 13 to the Shrimp FMP. This
amendment, if
[[Page 53144]]
approved by NMFS, would establish a moratorium on shrimp licenses and
allow for closer monitoring of the shrimp fishery in two ways. First,
electronic logbook reporting, which tracks fishing effort (number of
trips, length of trips, locations, etc.), would be required for
commercial shrimp vessel permit holders. Second, the observer program
would include bycatch reporting which will produce estimates of total
annual finfish and invertebrate bycatch. The Council believes these
actions will provide the best information to track effort and evaluate
bycatch and modified BRD performance without unduly interfering with
shrimp fishery operations. NMFS expects that Amendment 13, if approved,
would be implemented early in 2006. The level of coverage for
monitoring bycatch through the use of electronic logbooks and observers
may vary with the availability of funding. Until such time as
additional funding is available, management measures such as bycatch
quotas would be impractical to consider for the shrimp fishery.
The Council previously considered area and seasonal closures for
reducing finfish bycatch in Amendments 9 and 10 to the Shrimp FMP. The
Council rejected these measures because they were deemed costly and
ineffective, and research at the time indicated BRDs reduced bycatch at
a lower cost. Current regulations include several seasonal and area
closures throughout the Gulf of Mexico in which trawling is prohibited.
Trawl gear is also precluded from numerous areas throughout the Gulf
because of oil and gas platforms, hard bottom habitat, and artificial
reefs. The intent of existing seasonal and area closures is to protect
small shrimp and habitat and reduce user conflicts. These closures were
not intended to reduce bycatch, although this is an indirect benefit of
these management actions.
The Council considered a scoping document for Amendment 14 to the
Shrimp FMP at their August 2005 meeting. The scoping document contained
alternatives for further reducing shrimp bycatch, reducing shrimp
effort, modifying bycatch reduction criteria, eliminating latent effort
in the shrimp fishery, and requiring vessel monitoring systems aboard
shrimp vessels. NMFS will continue to work closely with the Council to
further develop a joint Shrimp and Reef Fish plan amendment evaluating
these shrimp fishery bycatch alternatives, as well as alternatives for
rebuilding the red snapper stock and reducing bycatch in the directed
red snapper fishery.
The petition also proposes setting a firm target for bycatch
reduction of between 60 and 80 percent of historic levels, with a time
line established to achieve the target within the shortest period
possible. NMFS believes the target bycatch reduction goal should be set
based on the results of the most recent stock assessment, taking into
account the time needed to rebuild the stock and the practicability of
further reductions in shrimp trawl bycatch.
Response to Comments
NMFS received 7,630 form letters in favor of the petition to end
overfishing of red snapper by minimizing shrimp trawl bycatch. NMFS
received an additional 23 letters in response to the petition. Of those
23 letters, 12 commenters supported the petition, and 11 commenters
urged the petition be rejected or denied. NMFS' responses to these
comments are provided below.
Comment 1: A group of commenters stated the Federal government has
failed to end overfishing of red snapper by the shrimp fishery despite
legal requirements, and significant action is necessary to reduce
bycatch and restore the red snapper stock.
Response: The 2005 red snapper stock assessment indicated red
snapper were overfished and undergoing overfishing. NMFS agrees action
is needed to reduce bycatch in both the shrimp fishery and the directed
red snapper fishery. Despite previous actions by NMFS and the Council
to improve BRD performance and reduce shrimp trawl bycatch of red
snapper, as explained in the History of NMFS and Council Efforts to
Reduce Bycatch in the Shrimp Fishery section of this document,
overfishing has continued. Changes in both fishing practices and gear
characteristics have significantly reduced the overall effectiveness of
BRDs relative to the bycatch reduction rates documented during field
trials. The Council recognized the need to address such changes during
rebuilding by periodically reviewing the status of the stock to ensure
the rebuilding plan is adequately meeting rebuilding goals. Should
insufficient or unexpectedly rapid rebuilding progress occur, NMFS and
the Council intend to make appropriate adjustments to regulations to
address unanticipated developments in the red snapper and shrimp
fisheries.
Comment 2: Eight commenters in favor of the petition stated the
shrimp fishery has impacted the recreational fishery economically and
hindered further economic gains the recreational sector could
experience.
Response: NMFS recognizes bycatch increases the mortality of any
species over what would otherwise occur due to natural mortality and
any directed fishery for that species. As such, this additional
mortality reduces the potential harvest and economic activity
associated with that species. This situation is not unique to shrimp
trawl bycatch and recreational fisheries. In addition to requiring
bycatch be reduced to the extent practicable, the Magnuson-Stevens Act
requires management measures provide for the sustained participation of
fishing communities. This requirement recognizes the sociocultural
importance of fisheries and the impracticability of reducing all values
associated with a resource to monetary terms. Thus, current regulations
in the shrimp fishery have been developed to both minimize bycatch and
maintain the fishing communities depending upon this fishery as well as
other related fisheries.
Comment 3: Several commenters indicated the petition failed to
address the recent decrease in shrimp effort and its effects on
reducing red snapper bycatch. These commenters identified four reasons
for reductions in shrimp effort: (1) The cap on the number of
commercial shrimp licenses has decreased participation in the fishery
to a huge degree; (2) the required use of TEDs and BRDs has made it
more difficult for license holders to make a living; (3) fuel costs
have increased drastically, and, (4) the amount of imported, farm-
raised shrimp has been increasing and is unfairly driving down the
price of domestic shrimp.
Response: NMFS agrees the petition did not address recent decreases
in shrimp effort, nor the aforementioned reasons for that effort
reduction. These reductions in effort have been factored into recent
management actions for shrimp and red snapper, including Amendment 13
to the Shrimp FMP, Amendment 22 to the Reef Fish FMP, and the 2005 red
snapper stock assessment. Although some individuals may dispute effort
estimates, these estimates were thoroughly reviewed during the 2004-
2005 SEDAR workshops for red snapper and are considered the best
available scientific information. Analyses predict reductions in the
number of large vessels (>60 ft (>18.3 m)), which primarily operate in
offshore waters and are expected to encounter more red snapper than
smaller vessels, will be the primary source of future reductions in
shrimp trawl bycatch. Between 2002 and 2004, offshore shrimp effort was
predicted to decline by 16 percent; actual reductions in shrimp effort
during this time declined by 18 percent. Projections indicate effort
for large
[[Page 53145]]
shrimp vessels will continue to decline significantly through 2011,
ending at a point 34 percent less than effort levels in 2002.
The Council approved Amendment 13 to the Shrimp FMP at their May
2005 meeting. If approved by NMFS, this amendment will establish
several management measures, including a moratorium on commercial
shrimp permits. NMFS has yet to implement the cap on commercial shrimp
licenses and, therefore, the cap has not reduced participation in the
shrimp fishery to date.
The use of TEDs and BRDs has likely made it more difficult for some
shrimpers to make a living. TEDs and BRDs not only reduce finfish and
turtle bycatch, they also result in some shrimp loss, which
economically impacts the profits of shrimpers. When the Council
approved Amendment 9 to the Shrimp FMP in 1997, research indicated BRDs
reduced bycatch at a lower cost than other management measures, such as
seasonal and area closures. Recent NMFS observer data indicate many
shrimpers have changed fishing practices and gear characteristics to
reduce shrimp loss; as a result, BRD performance has decreased.
The declining profitability of the shrimp industry is attributed to
lower prices, due to competition from imports, and to higher fuel
prices, which increased 21-29 percent from 2002 to 2003. Fuel costs
represent a significant portion of the industry's operating expenses,
and fluctuations in fuel costs can significantly affect the industry's
economic performance. Increases in shrimp imports have been the primary
cause of the recent decline in U.S. shrimp prices. Recent surges in
imports have been caused by increases in the production of foreign,
farm- raised shrimp.
Comment 4: One commenter stated the petition was based on old
information and new information is now available. The commenter stated
the new information was incorporated into the new assessment, but was
not acknowledged in the petition, and taking action would be imprudent
until completion of the new assessment.
Response: NMFS concurs that it would be prudent to wait for the
findings of the new assessment before taking action. A red snapper
stock assessment was completed in 2005 and represents the best
available science regarding the current status of the stock. NMFS
believes additional management measures to achieve reductions in
bycatch mortality should take into account the results of this stock
assessment and would best be addressed by the Council through
regulatory amendment and development of a plan amendment. The Council
discussed the results of the 2005 red snapper stock assessment at their
August 2005 meeting and requested the NMFS Southeast Fisheries Science
Center begin evaluating rebuilding scenarios for red snapper and the
necessary shrimp trawl bycatch reductions associated with the
scenarios.
Comment 5: Several commenters stated the impact of recreational
fishing was not acknowledged in the petition, and this fishing was a
huge factor in the red snapper decline.
Response: The petition acknowledges recovery of the red snapper
stock is not based on bycatch reduction alone. However, the petition
states the directed recreational and commercial fisheries have already
adopted many management measures in an effort to rebuild the red
snapper stock. Based on the most recent stock assessment, red snapper
fishing mortality rates in both the directed fishery and the shrimp
fishery are too high and each sector must share responsibility for
rebuilding the stock.
Comment 6: One commenter stated the growth of offshore recreational
fishing boats has had a huge impact on red snapper and all other reef
fish species. Another commenter asserted recreational bag limits for
red snapper are regularly exceeded with no penalties, and this was the
primary problem with management of the stock.
Response: NMFS agrees the number of recreational fishing vessels
and fishing effort have increased in recent years. Despite this
increase in fishing effort and vessels, red snapper landings have been
at or near the 4.47-million lb (2.03-million kg) quota. Recreational
landings overages have occurred in some years, but landings have also
been well below the quota during other years. Management measures
imposed by the Council and NMFS, such as bag limits, closed seasons,
size limits, and a moratorium on for-hire vessel permits, are intended
to limit overall red snapper landings and effort. The U.S. Coast Guard,
NMFS Law Enforcement, and state enforcement agencies enforce these
regulations, and penalties exist if regulations are violated.
Comment 7: One commenter asserted the bycatch of undersized red
snapper by recreational fishermen is substantial.
Response: NMFS agrees bycatch of undersized fish in the directed
fishery should be addressed. The 2005 red snapper stock assessment used
a range of release mortality rates for the directed commercial and
recreational red snapper fisheries. These release mortality rates
ranged from 15 to 80 percent depending on depth and time fished. The
Council has begun developing a plan amendment to address bycatch in
both the directed red snapper fishery and shrimp fishery.
Comment 8: One commenter stated studies show the importance of
protecting large spawners to ensure red snapper sustainability, and
implied recreational fishing has a much greater effect on these large
fish than commercial fishing, such as longlining.
Response: NMFS agrees it is important to protect mature red
snapper. Red snapper mature as early as 2 years of age and 10-12 inches
(25-30 cm) fork length. They do not reach peak reproductive
productivity until approximately 15 to 20 years of age. Current fishing
practices directly affect the reproductive potential of the stock
because red snapper are primarily caught well below the age at maximum
fecundity. The commercial longline fishery typically harvests older red
snapper (mean age of 7-8 years), while the commercial and recreational
handline fisheries harvest younger red snapper (mean age of 2 to 4
years). However, the commercial longline fishery accounts for only a
small portion of the overall commercial harvest of red snapper (less
than 4 percent of the overall commercial harvest).
Agency Decision
After considering the assertions and proposed management measures
set forth in the CCA petition and all public comments, NMFS has
determined the measures requested by the petition should not be
addressed via emergency or interim rulemaking at this time. NMFS agrees
bycatch mortality of red snapper in the Gulf shrimp fleet adversely
affects red snapper and its ability to rebuild. NMFS believes it is
important to address bycatch mortality of red snapper by the shrimp
fleet, but this issue does not represent an emergency as defined in
NMFS policy guidance for the use of emergency rules (62 FR 44421,
August 21, 1997). Overfishing of red snapper is not an unforeseen event
and, therefore, does not constitute an emergency.
Interim measures can be useful to address recently discovered
issues for which no long-term strategies have been devised. However,
NMFS believes long-term measures are more appropriate than interim
measures to address overfishing of red snapper. The Council and NMFS
have established, and are in the process of implementing, a long-term
rebuilding plan for red snapper to phase-out overfishing by 2009 or
2010 and rebuild the fishery by 2032, as
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defined in the Magnuson-Stevens Act (Sec. 303(e)(4)). As anticipated
in the rebuilding plan, implementation includes periodic adjustments
based on new scientific information. The 2005 red snapper stock
assessment indicates the level of reduction necessary to eliminate
overfishing is dependent on the objectives and rebuilding scenario
selected. The Council will need to evaluate those factors carefully
prior to taking action to implement appropriate reductions to end
overfishing and rebuild the stock.
Finally, emergency and interim regulations are not appropriate for
addressing such actions as changes to BRDs, because these changes would
require substantial time for gear development, manufacturing, and
training and distribution for re-outfitting of shrimp nets. Emergency
and interim measures can only be implemented for 180 days and can be
extended for an additional 180 days if necessary conditions are met. It
is likely that such measures would result in a regulatory lapse before
longer-term measures could be implemented.
NMFS believes additional management measures to achieve reductions
in bycatch mortality should take into account the results of the most
recent red snapper stock assessment and would best be addressed through
Council regulatory amendment and development of a plan amendment. The
Council directed staff during their August 2005 Council meeting to
begin immediately working on a regulatory amendment to modify
certification procedures and protocols for BRDs, including
decertification of ineffective BRDs and certification of new BRDs
capable of achieving necessary reductions in finfish bycatch. This
regulatory amendment is expected to be completed in mid-2006. The
Council also directed staff to begin developing a joint reef fish and
shrimp plan amendment that revises the red snapper rebuilding plan and
addresses bycatch in both the directed red snapper fishery and shrimp
fishery. This plan amendment is expected to be completed by late-2006.
By addressing bycatch mortality, management measures, and the red
snapper rebuilding plan in this way, the public will be afforded more
opportunities to comment and participate in the rulemaking process, and
long-term measures to address the issues can be implemented.
Authority: 16 U.S.C. 1801 et seq.
Dated: August 31, 2005.
Emily Menashes,
Acting Director, Office of Sustainable Fisheries, National Marine
Fisheries Service.
[FR Doc. 05-17713 Filed 9-6-05; 8:45 am]
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