The notice notes that
“The [Mid-Atlantic Fishery Management] Council
and the [Atlantic States Marine Fisheries] Commission’s Summer Flounder, Scup,
and Black Sea Bass Management Board (Board) meet jointly each year to recommend
recreational management measures for all three species, generally set for two
years, so that recreational harvest achieves, but does not exceed, the
recreational harvest targets specified by the Percent Change Approach adopted
in the Harvest Control Rule Framework…Black sea bass recreational management
measures were previously only set for 2024 due to a delayed stock
assessment. This action proposes the
recreational management measures for only black sea bass and for only the 2025
fishing year.
“…The Council and Board recommend status
quo recreational black sea bass measures for 2025, including the continued use
of conservation equivalency, with regional measures expected to achieve, but
not exceed, the harvest target. A status
quo approach for 2025 complies with Framework 17 [the Percent Change Approach]
given that the 2025 catch and landings limit were not set “in response to updated
stock assessment information” and instead were left unchanged…According to the
most recent stock assessment, the biomass of black sea bass remains well above the
target and overfishing is not occurring.
Black sea bass measures are being set for only one year as an updated
management track assessment is expected to be available later this year and
will be used to inform specifications and recreational measures for 2026 and
beyond. Therefore, the Council and Board
recommended that recreational measures remain unchanged in 2025. [citations omitted]”
While those paragraphs pretty well outline what NMFS, and more particularly NMFS’ Greater Atlantic Regional Fisheries Office, plans to do, it leaves much unsaid and, when all the facts are considered, seems almost intended to conceal relevant facts, rather than to reveal them.
While the first paragraph
was fairly straightforward, the second was, in many ways, not at all forthcoming.
Take, for example, the statement
that “A status quo approach for 2025 complies with Framework 17 given that the
2025 catch and landings limit were not set “in response to updated stock
assessment information.”
That statement is objectively
true, but…
Why wasn’t the 2025
catch and landings limit not set “in response to updated stock assessment
information”?
It wasn’t because either the Council of NMFS lacked a stock assessment to respond to. In fact, they had two stock assessments available. One was a so-called research track stock assessment, which employed a new population model that could better incorporate some of the more challenging characteristics of the black sea bass stock. The other was a management track stock assessment, based on the methodology used in the research-track assessment.
After
reviewing the management-track assessment, a peer-review panel wrote
“The Panel concluded that the [Terms of
Reference] had been met and the assessment is sufficient for providing catch
advice. This assessment is the first to
implement the many changes in the recently completed Research Track. Changes include the use of a single model
that allows for migration between northern and southern areas, estimation of
fleet specific fishing mortality in both areas, and use of an integrated
measure for relative abundance from the VAST model. The new projection methodology I [the Woods
Hole Assessment Model used in the assessment]…is thought to provide a more
valid characterization of future uncertainty…”
The peer-review panel also explicitly
stated that
“The assessment represents Best Scientific
Information Available (BSIA) for this stock for management purposes.”
So the Council and Management
Board were given a bright, shiny new tool to use to manage black sea bass. According to the peer-review panel, that tool
could do things that the tools used before just couldn’t do, and it also constituted
the best scientific information available, which was a very important
consideration, because National
Standard 2, a critical part of the Magnuson-Stevens Fishery Conservation and
Management Act, requires that
“Conservation and management measures
shall be based upon the best scientific information available.”
The only thing is, neither the Council nor NMFS nor the regional office nor the Management Board wanted to use it.
Despite the peer-review panel’s favorable
review, despite the likelihood that the new assessment was more accurate than
those that went before, due to how it addressed severable variables, and
despite the fact that the new management track assessment represented the best
available scientific information,the Management Board and the Council and
NMFS chose to ignore it, and instead rely on an older assessment
that gave rise to the existing regulations.
Why would they do that?
Apparently, because the new stock
assessment would have required a reduction in black sea bass landings. (Although it probably should be noted that,
in issuing the 2025 management measures, NMFS and the Greater Atlantic regional
office didn’t completely ignore the latest stock assessment; they were more
than willing and happy to note that “According to the most recent stock
assessment, the biomass of black sea bass remains well above the target and
overfishing is not occurring,” which was true.
NMFS and the regional office only chose to ignore those parts of the new
assessment that didn’t support their preferred narrative, that previous harvest
levels should remain unchanged.)
Yes, there
were various state managers who did not understand why the new assessment projected
a decline in recruitment, when recruitment had been consistently robust in
recent years. That issue certainly
merits investigation.
But what no one—no one at all—questioned
was the new assessment’s calculation of the target biomass—that is, the biomass
needed to support maximum sustainable yield—was about 11,225 metric tons, roughly
20 percent smaller than the 14,092 metric ton biomass calculated by the older
assessment.
Nor did they question the new
assessment’s conclusion that the maximum sustainable yield for the black sea
bass stock—the level of landings that the stock could produce over an extended
period—was just 3,649 metric tons, nearly 24 percent below the 4,773 metric
tons previously calculated.
No one appeared to doubt that the
black sea bass stock was less productive than previously believed.
But they just chose to ignore the
fact, because black sea bass remained abundant, and many
state managers just seemed afraid of the public reaction if they followed the
scientific advice and reduced the acceptable biological catch, and thus the
various catch limits, by 20 percent. That
fear was conveyed in the ASMFC’s summary of an August management meeting, which
noted that
“With biomass currently more than double
the target level and overfishing not occurring, it is challenging to
communicate the conservation need for a 20% reduction in the [acceptable
biological catch]”
And thus they didn’t even try.
After all, why try to engage in a challenging conversation, just because the best scientific information available strongly suggests that it’s the right thing to do?
Instead, various state fisheries managers fretted
about upsetting stakeholders, asking “how do we go back to stakeholders” with
news of a landings reduction, worried that they were “at great risk of
alienating our many stakeholders,” and declaring, despite the findings of the
most recent stock assessment, that “this one [landings reduction] doesn’t make
any sense. The tone, if not the precise
language, were reminiscent of parents worried about how to tell their spoiled
child that he could not have any ice cream for breakfast.
The Management Board led the
charge to ignore the scientific advice.
They can do that sort of thing, and have done it before, because the
ASMFC has absolutely no legal obligations when managing fish stocks. It can allow overfishing to continue
unabated, it can allow overfished stocks to languish, and it can ignore the
most compelling scientific information, and have no accountability at all. Thus, when a motion was made to keep the 2024
black sea bass management measures in place throughout 2025 was made and
seconded, it passed with few dissenting votes.
The Council dutifully made the 20
percent cuts, as Magnuson-Stevens required, but NMFS Greater Atlantic regional
office would soon willingly undercut that statute with some active
bootstrapping and some creative interpretations of the law.
NMFS
and the regional office cited a regulation that reads,
“If the total catch, allowable landings,
commercial quotas, and/or RHL measures adopted by the ASMFC Summer Flounder,
Scup, and Black Sea Bass Management Board and the [Mid-Atlantic Fishery
Management Council] differ for a given fishing year, administrative action will
be taken as soon as possible to revisit the respective recommendations of the
two groups. The intent of the action
shall be to achieve alignment through consistent state and Federal measures
such that no differential effects occur to Federal permit holders,”
to justify the decision to violate
National Standard 2 and ignore the best scientific information available, and
instead conform its decision to that of the Management Board, and argued
that the regulation
“require the Regional Administrator to
take administrative action to align measures to prevent differential effects on
Federal permit holders.”
But that is an apparent overstatement of
what the regulation requires, as various sources define “revisit” as
“to consider or take up again” (Merriam-Webster),
“to talk or think about something again,
with the intention of improving it or changing it” (Cambridge
Dictionary),
or
“to return to an idea or a subject and
discuss it again” (Oxford
Learner’s Dictionaries).
The one common theme in all of
those definitions of the verb “revisit” is that they all embrace the concept of
returning to a topic, and reconsidering it, perhaps with the hope of
improving or changing a preexisting condition, but none of those
definitions suggest in any way that “revisiting” a previous decision or action requires
that, after due consideration, any changes must be made.
Thus, NMFS’ and the regional office’s suggestion that the agency was required to conform its regulations to the Management Board action, and in so doing violate a very clearly stated provision of Magnuson-Stevens, is on as shaky factual ground as are a number of their other statements regarding black sea bass management.
Similarly, NMFS’ and the regional office have
taken the position that language in Magnuson-Stevens which requires “Each
Council” to set annual catch limits no higher than the level recommended by
that Council’s Scientific and Statistical Committee only binds the regional
fishery management councils, and does not prevent NMFS from ignoring the
Committee’s advice and setting an acceptable biological catch higher than the
SSC recommendation (in the case of black sea bass, the Council’s SSC
recommended setting the ABC 20 percent below what it had been in 2024, but NMFS
and the regional office ignored that advice and maintained the ABC at its 2024
level, apparently believing that, while the Council cannot ignore the best
scientific information available, the agency and its regional office may do so
with impunity).
The end result is that the 2025 acceptable
biological catch, annual catch limit, and related specifications (e.g., sector
annual catch limits, commercial quota, recreational harvest limit, etc.) are
all substantially higher than they should be, and higher than they would be had
the advice in the latest stock assessment been followed.
Which leads us back to the initial
question: Why bother to comment on
proposed management measures that NMFS and the regional office seem Hell-bent
on adopting, regardless of what anyone else might believe?
Although I hate to say this,
because I am a firm believer in participating in the management process and
making everyone’s views known, in the case of black sea bass, I believe that there
is no point in commenting at all.
Fisheries managers in most states, at the ASMFC, and at NMFS and the regional
office seem determined to maximize landings, regardless of whether that is
consistent with the best scientific advice.
Why?
I can only speculate that, at
this point, fisheries managers have been so beat up by the constant whining and
complaints, and just plain frequent bullying from representatives of the
for-hire fleet and others in the recreational fishing industry that they’ve
developed a sort of Stockholm syndrome with respect to the black sea bass
fishery.
It's not hard to draw an analogy between the hostages and fisheries managers who, beset at meetings by hordes of fishing boat crew and other persons, when even the completely sober folks in the crowd (which description, unfortunately, does not apply to everyone who attends such events) jeered and catcalled and insulted the professional managers, who were forced to support regulatory actions that were mandated by Magnuson-Stevens, but did not seem completely necessary given the temporary abundance of the black sea bass resource.
Under such circumstances, it
might not be surprising that the mangers became willing to ignore the science
and the law, and to side with their critics in the hope that the chronic complaints
and criticism might be, if not ended completely, at least be substantially
reduced.
Regardless of the reason, it is just about certain that NMFS is intent on maintaining status quo regulations in 2025, regardless of what comments the public might make, and that making any comments at all would be a waste of time.
Accepting that, the question becomes:
Can we believe NMFS when it says that “an updated management track
assessment is expected to be available later this year and will be used to inform
specifications and recreational measures for 2026 and beyond”?
I wish I could believe that, but given the experience of the 2025 assessment, I have serious doubts.
So what does that bode for the
2025 management track assessment, once it is released?
If the results of the
2025 assessment rebut those of the 2024, there is little doubt that managers
will take the new and better news as gospel, and after more than a few “I told you so”s, will happily go about
their business of maintaining high black sea bass landings. And that scenario is certainly possible.
But it’s also possible that the
2025 assessment will tell a very different story. After all, at least where I fish off Long
Island (and from what people have told me, both north and south of Long Island
as well), black sea bass numbers seemed to be down in 2024. When we passed over a wreck, we no longer saw
the towering schools of black sea bass rising from the ocean floor to 30 or
more feet above the bottom, and most of the fish that we caught were
disappointingly small, a continuation of the steadily shrinking size of the
fish that we’re catching over the past decade or so.
Last year, we observed water
temperatures that were far lower than we normally see. I had surface temperatures south of Fire
Island in July that were six to eight degrees Fahrenheit cooler than what I typically
see, and divers noted that bottom temperatures off Long Island were unusually
cold this year. I don’t know when the
warm water started or when it ended, but it’s not at all impossible that black
sea bass spawned in 2023 and/or in 2024 could have felt its effects. If that happened, the worst case might be
that we’re looking at a stock that has seen high fishing mortality removing
most of the older, larger individuals, while cold water resulted in a smaller
number of young fish recruiting into the population.
If the 2025 stock assessment reflects such a worst-case scenario, and shows a decline in the black sea
bass population, will managers be willing to make the necessary cuts in recreational
landings, which may at that point be well over 20 percent?
Or, assuming that the worst-case
scenario doesn’t happen, and the 2025 stock assessment merely confirms the
results of the 2024, and demonstrates that a 20 percent reduction really is
needed, will managers finally concede and do what needs to be done?
I can’t confidently answer either of those questions in the affirmative.
Black sea bass management no longer seems to have firm roots, whether
those roots might take the form of a stock assessment or even just of a
management plan. Ever since 2019, black
sea bass managers have, in every year but one, sought ways to avoid making the landings
reductions called for by the standards and methodologies spelled out in their
management plans. Managers seem wedded
to the status quo, regardless of what the data, the science, or the management
plan might suggest.
I’ve already decided that they
have no intention of considering public viewpoints that might differ from their
own.
And I have a gnawing fear that they
might not consider the findings of the 2025 assessment, either, if those
findings contradict the status quo.