Atlantic menhaden are an important forage fish all along the
East Coast, feeding everything from striped
bass off New England to king
mackerel in the southeast. Their appeal isn’t limited to predatory
fish; they are also an important part of the diets of marine
mammals and piscivorous birds.
Menhaden also support a very large commercial fishing
industry, which has two primary components. One is the bait fishery, which
catches menhaden that both commercial and recreational fishermen use as bait
for other species. The other is the so-called “reduction fishery,” which
processes menhaden into fish meal, oil, and other industrial products. The
reduction fishery accounts
for most of the menhaden harvest, landing 131,800 metric tons of Atlantic
menhaden in 2023. That is a large decrease from historical landings levels,
which peaked at 715,150 metric tons 70 years ago and exceeded 400,000 metric tons as
recently as 1990. The bait fishery is substantially
smaller, landing 60,420 metric tons of Atlantic menhaden in 2022 and 48,550 metric tons in 2023.
While the bait fishery is largely composed of small-scale
operations that exist in almost
every Atlantic coast state, the Atlantic menhaden reduction fishery is
prosecuted by a single company, Ocean
Harvesters, which sells its entire catch to Omega Protein Corporation, a subsidiary of
the Canadian seafood conglomerate, Cooke, Inc. Both Ocean
Harvesters and Omega Protein are headquartered in the unincorporated community
of Reedville, Virginia, which makes Virginia a key participant in the menhaden
management debate.
In recent years, biologists believed that the menhaden stock
was doing extremely well, as a 2020
benchmark stock assessment found that the stock was neither overfished
nor experiencing overfishing; fishing mortality was well below the fishing
mortality target, while fecundity, used as the measure of menhaden abundance,
was well above target. A 2022
stock assessment update confirmed those findings.
Still, some conservation advocates feared that the large
fishing vessels used in the reduction fishery might be causing
localized depletion, particularly in the Chesapeake Bay, and depriving
predators of needed forage. A research paper that blamed osprey nest failure in
a small corner of the Chesapeake Bay on such supposed depletion only increased
such advocates’ concerns.
However, no one has yet demonstrated that localized
depletion is actually taking place. In 2009, scientists from the Council of
Independent Experts conducted a peer review of the Chesapeake Bay Menhaden
Research Program, which is run by the National Oceanic and Atmospheric
Administration’s Chesapeake Bay Office. They
ad https://asmfc.org/wp-content/uploads/2025/02/aug09boardproceedings.pdf vised that,
while localized depletion might possibly occur, it would probably occur only at
the level of a single tributary, not across the entire Bay.
They also advised that, before trying to determine whether
such depletion exists, fishery managers should define what the term “localized
depletion” means, a simple first step that, more than 15 years later, has not
yet been accomplished.
Nonetheless, the Atlantic States Marine Fisheries
Commission’s (ASMFC) Atlantic Menhaden Management Board (Board) chose to take a
precautionary approach toward menhaden in the Chesapeake Bay by instituting a
cap on the amount of menhaden that may be removed from the Bay each year (Bay
cap). The
original Bay cap, which was adopted in 2006, was intended to merely prevent
an increase in the reduction fleet’s landings by limiting such landings to the
average tonnage of menhaden removed by the fleet each year during the period
1999-2004.
While the original Bay cap permitted the reduction fleet to
remove slightly more than 100,000 metric tons (mt) of menhaden from the
Chesapeake Bay each year, the Board has since gradually reduced it to the
current cap of 51,000
mt.
Thus, menhaden management seemed to be on the right track,
until a
stock assessment update released in October 2025 (2025 update) found
that earlier stock assessments had overestimated the species’ natural mortality
rate. When a more accurate estimate of natural mortality was used in the latest
assessment, estimates of biomass and fecundity declined, while the estimate of
fishing mortality increased. Although the stock is still neither overfished nor
experiencing overfishing, the fecundity estimate is now only slightly above the
threshold used to define an overfished stock.
The 2025 update informed the Board that the total allowable
catch (TAC) it had set for
the years 2023-2025, 233,550 metric tons, raised the fishing mortality well
above its target level. In order to achieve a 50% probability of keeping
fishing mortality at or below the target, the TAC would have to be reduced by
54%, to no
more than 108,450 mt.
So, when the Board met in October 2025, it faced a problem.
Cutting landings back to 108,450 mt in a single year would have severe economic
impacts on the menhaden fishing industry, while leaving the TAC unchanged might
do real harm to the stock. The Board had already received
multiple reports from fishermen and various conservation organizations
suggesting that menhaden abundance was declining. Fishermen failed to land
their full TAC in 2023 or 2024, falling
about 20% short in both years, another sign that that abundance might
be waning.
The Board was sharply divided on how to proceed. Matt Gates,
the administrative proxy for Connecticut, moved
to set the TAC at 108,450 mt for the years 2026-2028, a motion
seconded by Massachusetts’ Governor’s Appointee, Ray Kane. Mr. Gates said,
“This is a TAC that is informed by the best available science, and setting a
TAC higher may not provide enough menhaden to fill their role in the ecosystem.
This includes providing striped bass forage, the conservation of which we have
set aside an entire day at this meeting to discuss.”
Dr. Allison Colden, a legislative proxy for Maryland and the
Maryland executive director for the Chesapeake Bay Foundation, supported the
motion, noting that
when the science shows that the Board is justified in
increasing the Total Allowable Catch for this fishery we have done so. In then
last four out of five times we have set specs for this fishery, the science has
said that we had a reasonable risk to take in increasing the coastwide quota,
and we have done that…I would encourage this Board to think just as we were
confident in increasing the Total Allowable Catch when the science says we
should, that we need to be as willing to take reductions when the science
indicates that is warranted as well.
Not surprisingly, the Virginia delegation wasn’t happy with
Mr. Gates’ motion, so Joseph Grist, the acting director of Virginia’s Marine
Resources Commission, offered a substitute motion that would set the 2026-2028
TAC at 186,840 mt. While that represented a 20% reduction in the TAC, it was
more show than substance; since the menhaden fishery was already falling about
20% short of catching their entire TAC. Mr. Grist’s motion effectively capped
landings at their current levels, but didn’t reduce them at all.
The substitute motion was seconded by Eric Reid, the
legislative proxy from Rhode Island.
Mr. Grist justified his motion by saying,
the proposed TAC is associated with a 0% probability of
exceeding the [Ecological Reference Point] fishing mortality threshold in 2026
through 2028, and a low 2 to 4% probability of falling below the [Ecological
Reference Point] fecundity threshold during the same period…To reduce [the TAC]
any further than 20% would put at risk, directly or indirectly, hundreds, if
not thousands of American jobs across several states. It will also result in
the decrease of supply and increase in demand and prices of menhaden that are
utilized by both the commercial and recreational fishing industries across
numerous jurisdictions represented around this Board. This motion is made to
balance the ecological concerns as well as the socioeconomic issues that have
been provided.
And thus, the issue was joined, with proponents of
conservative, science-based management squaring off with Board members who were
primarily concerned with the economic disruption that might result from a
significantly lower TAC.
Mr. Grist’s motion received support from some members of the
Board, as well as from a reduction fleet captain, the union that represents
reduction industry workers, and from commercial fishermen in other fisheries
who need to purchase menhaden for bait. It eventually passed on a vote of 12 to
6.
Another motion to substitute was made, this time by Nichola
Meserve, a Massachusetts fishery manager. It read “Move to substitute to set
three-year specifications for Atlantic menhaden with the following TAC;
2026=186,840 MT; 2027=152,700 MT, and 2028= to 124,800 MT.” Nicole Lengyel
Costa, a Rhode Island fisheries manager, provided a second.
Ms. Meserve explained that “the values in this motion
represent a 20% reduction in 2026 followed by two equal reductions of 18.27% in
order to reach 124,800 MT in 2028, which is the value associated with the 50%
probability of exceeding the [Ecological Reference Point fishing mortality]
target in 2028…However, I also recognize that the end TAC of 124,800 metric
tons is a significant reduction of 46 percent overall…By phasing it in over
three years it does provide for a little more stability.”
Once again, the debate was between those who supported the
science and wanted to see menhaden managed with the Ecological Reference Points
that were adopted in 2020 to account for the species’ role as a forage fish,
and those who emphasized economic concerns. Mr. Reid opposed Ms. Meserve’s
motion, saying in part,
You know we’re talking about reduction versus bait…
We’re at a point now there the economic viability, return on
investment, return to owner, is so marginal that going in a stepdown
approach…we’re going to take the fishery right out of it, because they can’t
function at these numbers, and we’re not just talking about lobster bait in
Connecticut, Rhode Island, and Maine.
We’re talking about bait all up and down the east coast in
many, many forms. We’re also talking about fish oil, which is used in I don’t
know how many products, everything from ice cream to paint, and we’re talking
about supplements, vitamins, vitamin this, vitamin that, fish oil, which are
sent not only throughout this country, but probably around the world.
This is what we’re talking about. We are talking about a
giant economic engine for not just people in this room, or on this coast, it’s
a worldwide market for a variety of products that the fishery itself produces.
We can’t lose sight of that, and I don’t want to lose one drop of market share
on any one of those things, because once you lose it you never get it back.
There was more debate, but it didn’t seem to change many
minds. Ms. Meserve’s motion failed on a 7 to 11 vote.
But there was one more substitute motion yet to be made, and
it was made by Dr. Costa, who tried to thread the needle between locking in the
186,840 mt TAC for three years and calling for greater reductions that didn’t
seem to have the support of the Board. She offered a substitute motion that
would set the 2026 TAC at 186,840 mt, but would have the Board set the 2027 and
2028 TACs at its October 2026 meeting. Senator Sarah Peake, New Hampshire’s
Legislative Proxy, seconded her motion.
After a few brief comments, that motion passed on a vote of
16 to 2, with only Pennsylvania and, predictably, Virginia in opposition.
Lynn Fegley, the Maryland fisheries manager, then put a new
motion on the table, which read, “Move to initiate Addendum II to the Atlantic
menhaden fishery management plan, to address Chesapeake Bay management
concerns. The addendum shall develop periods for the Chesapeake Bay Cap that
distribute fishing effort more evenly throughout the season and also develop a
range of options to reduce the Bay Cap from status quo to 50%.” That motion was
seconded by Robert LaFrance, the proxy for Connecticut’s Governor’s Appointee.
Not surprisingly, Mr. Grist of Virginia spoke in opposition
to that motion, too, arguing that the cap is not science-based, but merely
“based on whatever the whims of this Board is.” He said that the Board ought to
wait until a team of scientists could recommend a new level for the Bay Cap
before taking action.
After some debate, and a failed attempt to amend the motion,
Ben Landry of Ocean Harvesters expressed some outrage at the new proposal.
I think it is clear to everyone that this is not, you can
change the name of it, it’s an Ocean Harvesters Cap and it only applies to the
reduction fishery. You can mask it in any way. You know when you have dozens of
[menhaden reduction] fishermen in the back [of the meeting room] and it’s just
such a callous conversation about, let’s hurry and figure out how we can cut
their harvest in the Bay…it’s a little hypocritical to say, my pound netters
need more fish, but let’s hurry up and cut it from the reduction industry. Bait
fish are fish caught in the pound netters. They are not less ecologically
important than those caught in the reduction fishery. I think it’s kind of an
indictment, I guess, on the entire Bay Cap, but thank you for your time.
Despite such opposition, the motion passed easily, on a 13
to 2 vote, with two abstentions and the Florida delegation, unable to agree on
a position, casting a “null” vote. New Jersey and, of course, Virginia were the
two states in opposition.
The meeting closed with much work to be done.
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This essay first appeared in “From the Waterfront,” the blog
of the Marine Fish Conservation Network, which can be found at
http://conservefish.org/blog/