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Pew Environment Group responds to errors & misconceptions in SEAFOOD.COM herring article

John Sackton's November 18, 2009 Seafood.com news article entitled "NE Council adjusts 3 year
herring quota upward over objections of Pew"
contains several errors and misconceptions about
the Pew Environment Group's work to reform herring management in New England, and we
would like to take this opportunity to correct these errors.

To start, the Pew Environment Group leads the Herring Alliance (www.herringalliance.org), a
broad coalition of local, regional, national and international conservation groups.

The mission of the Herring Alliance is to reform the Atlantic herring fishery as follows:
 
- To establish ecosystem-based catch limits which leave sufficient herring in the ecosystem as
forage for other marine predators.
- To spatially and temporally apportion herring trawling using buffer zones and time and area
closures which both minimize bycatch and avoid localized depletion to ensure sufficient herring
is present when and where they are needed as prey.
 -To fully monitor and minimize bycatch of commercially and recreationally important fish
stocks - including juvenile or spawning Atlantic herring and depleted river herring and
groundfish - as well as whales, seals, dolphins and porpoises.

Mr. Sackton's assertion that Pew, along with some inshore river herring fishermen, have been
arguing that herring should essentially not be fished at all because it is a forage fish, and
therefore should be reserved within the ecosystem for those other fish that eat it, such as cod etc.
is wrong on two levels.
 
First, a wide and diverse group of people within the conservation community, as well as the
recreational and commercial fishing industries, are working to limit industrial herring trawling
and bring greater accountability to the Atlantic herring fishery. Long before Pew began its
herring campaign in 2007, the CHOIR Coalition (www.choircoalition.org), which was formed in
2002 by commercial and recreational fishermen, such as the East Coast Tuna Association and the
Recreational Fishing Alliance, was already working to change herring management and to keep
midwater trawl ships out of inshore waters.
 
Second, Pew does support a herring fishery. We support New England's traditional fixed gear
and purse seine fisheries that provided bait to lobstermen and Maine canneries until they were
displaced by industrial-scale trawlers from the West Coast and Europe. Our concern is with
midwater trawl gear, which we believe to be of a scale that is inconsistent with the rebuilding of
groundfish and the health of the Northwest Atlantic ecosystem. We have never said, advocated for,
or written that there should be no herring fishery.
 
In his article, Mr. Sackton indicates that midwater trawlers can fish for herring in groundfish
closed areas so long as they have observers. This is not correct. A quick check of the regulations
reveals that midwater trawlers are only required to take observers in Closed Area 1, a regulation
that has only been in effect since November 1, 2009, less than one month. Midwater trawl ships
are not required to have observers in the Western Gulf of Maine closed area, the rolling closures,
Closed Area 2, the Nantucket Light Ship Closed Area, or any other closed areas.
 
The article goes on to state that The irony is that the result of efforts by Pew to curtail herring
fishing have fallen mainly on the smaller inshore fishermen and lobstermen in Maine. Most of
the proposed changes in monitoring rules will impact purse seiners more than trawlers. This is
simply not correct. In truth, the monitoring program currently being developed by the New
England Fishery Management Council, known as Amendment 5, contains a wide range of
options, none of which impact seiners more than trawlers.
 
The article argues that the idea of overall maintaining reduced catch levels was neither
controversial nor contested. The view of the council standing strong against lobbyists and a
rapacious industry is a fantasy useful to Pew. All sides, industry and scientists, agree on the need
for reduced harvests. In fact, a different reality becomes clear when you read this excerpt from a
letter written by herring industry lawyers to Council Chairman John Pappalardo on November
13, 2009:
 
The likely upper range of TACs [Total Allowable Catches] suggested by the SSC [Scientific and
Statistical Committee] is likely to be 107,900 mt [metric tons]. In order to minimize adverse
economic impacts, this should be considered a floor, not a cap.
 
This letter clearly states that the industry believes that the maximum level set by the council's
SSC should be a floor not a cap. A letter from a Massachusetts congressman on behalf of the
industry had similar sentiments, requesting the status quo (145,000 mt) be approved until a new
benchmark assessment can be done. In addition, herring industry lobbyists have been in
Washington, D.C., at the National Marine Fisheries Service headquarters in Silver Spring, Md.,
and at Herring Advisory Panel and Herring Oversight Committee meetings with the same
requests for the status quo at 145,000 mt until a new benchmark is done.
 
The actual situation unfolding here is that industry lawyers and lobbyists have fought and
continue to fight to have the SSC's recommendation for Allowable Biological Catch (ABC) act
as a floor, thus making the Annual Catch Limit higher than the recommended ABC. The issue is
not what we or others might think of this position. It is simply a fact, not a fantasy as Mr.
Sackton claims.
 
Finally, the article refers to a major victory for herring operators and comments that the
statement put out by Pew on herring appeared to describe a different meeting. So as not to leave
room for any misunderstanding by Mr. Sackton regarding our position, we support using the
recommendation for ABC from the council's science committee. The SSC gave three options for
ABC: 90,000 mt, 106,000 mt, and 108,000 mt. The council stayed within the recommendations of its
SSC by choosing 106,000 mt. Because the council stayed within the SSC recommendation,
Pew issued a press release praising their actions. In no way did we object to the council's
decision.
 
In closing, it bears mentioning again that Pew supports a herring fishery with comprehensive
monitoring, science-based annual catch limits that take into consideration evolving predator
needs, and gear types that are in scale with New England's other fisheries. We hope that these
clarifications result in more accurate reporting in the future.
 
Sincerely,
 
Peter Baker
Manager
New England Fisheries Campaigns
Pew Environment Group

 
READ THE FULL LETTER