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Who
Regulates Red Snapper and Other Fishes in the Gulf of Mexico? |
The
commercial and recreational fisheries in the Gulf of Mexico
(GOM) off Louisiana are regulated by the Department of Wildlife
and Fisheries in state waters (out to 3 nautical miles (nm))
and by the federal government in the Exclusive Economic
Zone (EEZ: from 3 to 200 nm). Alabama and Mississippi also
enforce a 3 nm state waters limit, but state waters extend
out 9 nm off Florida and Texas. Since red snapper are a
relatively deep-water fish, most of the harvest off Louisiana
comes from the EEZ. In nearly every instance, Louisiana
state regulations applied to red snapper mirror the federal
regulations, as they have historically, to make enforcement
both simpler and fairer. The recent actions in Texas and
Florida to establish more liberal red snapper regulations
within their state waters have generated a great deal of
controversy – in particular, because of those states’
9-nm boundaries for state waters. However troubling these
actions are, it should be noted that the 9-nm boundaries
off Texas and in the Gulf waters of Florida were created
under the conditions that existed when those states first
were admitted to the Union.
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What
is the Magnuson-Stevens Act? |
The
principle law governing both commercial and recreational
fisheries in federal waters is the Magnuson-Stevens Fishery
Conservation and Management Act (MSFCMA) of 1976. The original
intent of the MSFCMA was to establish authority over the
EEZ to eliminate harvesting by foreign fishing fleets. While
conservation of fish stocks was another goal, the MSFCMA
also provided for significant expansion of U.S. offshore
fishing capability. The result was, within 10 years, an
over-harvest by the domestic fleet of certain fish species
equal to that previously produced by the foreign fleets.
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What
are the Fishery Management Councils? |
The
MSFCMA also created a management structure based on regional
Fishery Management Councils having voting members, appointed
by the Secretary of Commerce, that include:
-
The principal State official with marine fishery management
responsibility and expertise in each constituent State
(Secretary of LDWF in Louisiana),
-
The regional director of the National Marine Fisheries
Service for the geographic area concerned,
- Individuals
who, by reason of their occupational or other experience,
scientific expertise, or training, are knowledgeable regarding
the conservation and management, or the commercial or
recreational harvest, of the fishery resources of the
geographical area concerned. The Secretary shall …
ensure a fair and balanced apportionment … of the
active participants (or their representatives) in the
commercial and recreational fisheries under the jurisdiction
of the Council.
The
Councils receive management advice both from their advisory
panels and from their scientific and statistical committees.
Based on this information, the Councils are tasked with
the production of fishery management plans (FMPs) that must
protect resources while maintaining opportunities for commercial
and recreational harvests. Plan implementation is the responsibility
of the Secretary of Commerce, primarily via NOAA Fisheries
Service. Thus, the Fisheries Service is faced with the unenviable
task of applying the legal mandates of both Congress (the
MSFCMA) and the Councils (the FMPs).
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What
is the Sustainable Fisheries Act? |
In
1996, the MSFCMA was reauthorized by Congress as the Sustainable
Fisheries Act (SFA), with the addition of new, specific
standards to which FMPs must conform. The most recent reauthorization
of the MSFCMA in 2007 includes standards that significantly
impact red snapper management:
Standard
1: Conservation and management measures shall prevent overfishing
while achieving, on a continuing basis, the optimum yield
from each fishery for the United States fishing industry.
Standard
2: Conservation and management measures must be based upon
the best scientific information available.
Standard
3: To the extent practicable, Individual stocks must be
managed as a unit throughout their range to the extent practicable;
interrelated stocks must be managed as a unit or in close
coordination.
Standard
4: Conservation and management measures shall not discriminate
between residents of different States. If it becomes necessary
to allocate or assign fishing privileges among various United
States fishermen, such allocation shall be (A) fair and
equitable to all such fishermen; (B) reasonably calculated
to promote conservation; and (C) carried out in such manner
that no particular individual, corporation, or other entity
acquires an excessive share of such privileges.
Standard
8: Conservation and management measures shall, consistent
with the conservation requirements of this Act (including
the prevention of overfishing and rebuilding of overfished
stocks), take into account the importance of fishery resources
to fishing communities by utilizing economic and social
data that meet the requirements of paragraph (2), in order
to (A) provide for the sustained participation of such communities,
and (B) to the extent practicable, minimize adverse economic
impacts on such communities.
Standard
9: Conservation and management measures shall, to the extent
practicable, (A) minimize bycatch and (B) to the extent
bycatch cannot be avoided, minimize the mortality of such
bycatch.
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What
is the difference between overfished and overfishing? |
The
MSFCMA of 2007 further established requirements that each
FMP include a definition of overfishing (too much fishing
mortality - excess harvest/removal) and a plan for rebuilding
overfished stocks (too few individuals - insufficient biomass);
overfishing must be stopped within two years and a plan
must be developed to rebuild overfished fisheries within
10 years. The Magnuson-Stevens Fishery Conservation and
Management Reauthorization Act (MSRA) of 2007 included new
mandate that FMPs must establish a mechanism for setting
annual catch limits that immediately prevent overfishing.
Catch limits that prevent overfishing also must be in place
by 2010 for every stock currently under federal management.
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When
were red snapper first managed? |
The
first FMP applied to red snapper in the GOM was completed
in 1981; it described rapidly declining commercial and recreational
harvests of red snapper. A 13-inch minimum size limit was
the first GOM regulation in 1984. Since then, there have
been more than 35 amendments to the federal FMP that includes
red snapper in the GOM. In 1988, the first red snapper stock
assessment showed that the species was both overfished and
undergoing overfishing. That designation required action
from both the Gulf of Mexico Fishery Management Council
(Gulf Council) and NOAA Fisheries to develop a plan to both
limit harvest and rebuild the population. The assessment
concluded that fishing mortality (commercial and recreational
harvest plus bycatch mortality) needed to be cut by 75 percent
in order to recover the species by 2000. The Gulf Council,
believing that the impacts to fishers from a 75 percent
cut would be too severe, subsequently opted for measures
that would reduce mortality by 20 percent, thus postponing
additional restrictions to the future while making recovery
of the red snapper in a timely fashion much less likely.
Young Zachary Aucoin caught this 30-lb snapper in 2004.
The fish was 19-yrs-old, and was spawned during the year
of the first Gulf red snapper Fishery Management Plan.
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What
is the importance of shrimp trawl bycatch? |
The
1988 red snapper assessment also described the significant
contribution to total fishing mortality that comes from
shrimp trawling bycatch mortality of young red snapper.
The first bycatch reduction device (BRD) mandate for Gulf
shrimp trawls came in 1998; the hope was that about three-quarters
of juvenile red snapper would escape each net. Since then
trials have demonstrated low efficiency (less than 15 percent)
for juvenile red snapper escapement from trawls fitted with
permitted BRD designs. Temporary closures of certain juvenile
habitat to trawling has been under consideration, but both
the recent reductions in trawling effort (due to hurricane
damage to the fleet and fishing infrastructure, high fuel
costs, and low cost imported shrimp) and the implementation
of new BRD designs have allowed postponement of closure
considerations, at least temporarily.
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How
are red snapper harvests allocated between the commercial
and recreational fisheries? |
One
early action in the effort to manage red snapper harvest
established a criterion that remains in force to this day.
In 1990 FMP Amendment 1 set the red snapper recreational/commercial
catch allocation at 49%/51% based on 1979-1987 landings
data. This allocation ratio remains unchanged, even though
the directed fisheries have changed significantly over the
subsequent years. Rapid growth of the recreational fishing
sector occurred in the 1990’s during a period of economic
growth; this was true especially in the for-hire or charter
boat sector of the recreational fishery. For instance, catch
data indicate that marine recreational fishing activity
(number of fishing trips per year) increased by over 20%
just in the years from 1996 to 2000, with nearly 1/3 of
this growth occurring in the Gulf of Mexico. Additionally,
LDWF data show an increase of over 800% in Louisiana charter
guide licenses between 1995 (when first required) and 2003.
Most of these licenses are issued in the coastal parishes.
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Why
are fishermen seeing so many red snapper when the assessments
say they are in trouble? |
For a long-lived
species like red snapper, it's not just the numbers of individuals
that are important to keep stock productivity high, it is
equally important to maintain age/size structure. The current
lack of old fish in the population has resulted from excess
catch rates that occurred 15-35 years ago. In the 1970s
and 1980s, when the stock was in a declining condition and
the need for management was identified, overfishing created
a “hole” in the age structure (similar to the
redfish situation back in the 1980s) that we are experiencing
now. Even though red snapper may begin spawning as early
as age 2, small females produce only a fraction of the eggs
that the old "sows" produce. Female red snapper
do not reach full reproductive potential until they are
about 15 years old and they remain highly productive for
many years, perhaps until they are more than 40+ years old.
Those big, old female egg producers are in much lower abundance
now than is necessary for a healthy population because of
overfishing that occurred 20-30 years ago.
Failure to reduce
shrimp trawl bycatch mortality until relatively recently
and high catch rates by the both the commercial and recreational
fisheries have also made it less likely that enough individuals
have been surviving to older ages. However, reductions in
shrimp trawl bycatch (the 2005 hurricanes and low price
of imported shrimp have reduced trawling effort by about
65% over the last 5 years) mean that we are seeing more
2 to 5 year old fish (i.e., the 20 inchers). So fishing
is good, but not as good as it should be for bigger fish;
thus the stock assessment is correct in its prediction that
catches need to be reduced to rebuild the spawning stock.
The most recent reductions in harvest are mostly due to
the requirement in the 2007 Sustainable Fisheries Act to
end overfishing by 2010 and past failures to achieve the
necessary shrimp trawl bycatch reductions.
It should be
noted that most species supporting the world’s fisheries
have life histories similar to that of red snapper and have
reacted the same way to overexploitation. These species
are often very resistant to overfishing because fishing
mortality is distributed over so many age classes that it
takes some years to cut back the size and age structure.
However, once this happens, these species can be very slow
to recover. Particularly worrisome is that, in some cases,
the fishery never recovers, as has happened with cod in
the Northwest Atlantic Ocean. Fishing for cod in these waters
has been almost eliminated for more than 15 years and cod
populations are not responding, possibly due in part to
concurrent environmental shifts.
Another factor
that Louisiana fishers need to remember is that Federal
red snapper regulations span the entire Gulf of Mexico.
This is law: Standard Three of the Sustainable Fisheries
Act specifies that “To the extent practicable, individual
stocks must be managed as a unit throughout their range
to the extent practicable.” Thus, Gulf-wide management
spans the hardest-fished areas (such as those near the busiest
Florida ports) and the least-fished areas (like some of
the hard-to-reach spots off Louisiana).
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Much
more information on these topics can be found in: |
Hood,
P. B., A. J. Strelcheck, and P. Steele. 2007. A history
of Red Snapper Management in the Gulf of Mexico. Pages 267-284
in W. F. Patterson, III, J. H. Cowan, Jr., G. R. Fitzhugh,
and D. L. Nieland, editors. Red snapper ecology and fisheries
in the U.S. Gulf of Mexico. American Fisheries Society,
Symposium 60, Bethesda, Maryland.
NOAA
FishWatch – Fisheries Management
http://nmfs.noaa.gov/fishwatch/management.htm
The
Magnuson-Stevens Fishery Conservation and Management Act:
Reauthorization Issues. Congressional Research Service,
February 7, 2005. E. H. Buck. http://digital.library.unt.edu/govdocs/crs/permalink/meta-crs-10098:1
The
Magnuson-Stevens Fishery Management and Conservation Act
of 1996 www.nmfs.noaa.gov/sfa/magact/
The
Magnuson-Stevens Fishery Management and Conservation Act
of 2007 www.gulfcouncil.org/Beta/GMFMCWeb/downloads/MSA07.pdf
The
Gulf of Mexico Fisheries Management Council.
www.gulfcouncil.org
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Please
send your questions and feedback to redsnapper@lsu.edu
|