On Wednesday, August 14, the
Mid-Atlantic Fishery Management Council and the Atlantic States Marine
Fisheries Commission’s Summer Flounder, Scup, and Black Sea Bass Management Board
will meet in joint session to, among other things, consider 2025 specifications
for the recreational and commercial black sea bass fishery.
It promises to be a contentious meeting.
The new research track assessment
passed peer review, and so represents the current state of the art in black sea
bass management. It managed to largely
eliminate what had been a
significant retrospective pattern in the previous assessment, which overestimated
fishing mortality and underestimated spawning stock biomass in the northern
region (that is, north of Hudson Canyon), while at the same time underestimating fishing
mortality and overestimating biomass in the southern region. That in itself was a significant improvement.
However, while the research track
assessment provided a new approach to assessing the black sea bass stock, its
findings did not directly translate into fishery management measures. Instead, the methodology of the research
track assessment was then incorporated into a
management track assessment (similar to what the ASMFC calls a “stock
assessment update”) that determined the status of the stock through the end of
2023, and will be used by the Council and Management Board to set 2025
management measures.
Once the management track
assessment was completed, the Council’s Scientific and Statistical Committee must set the Allowable Biological Catch, which establishes the upper
limit for catch—that is, the combined landings and dead discards of both the
recreational and commercial fleets—as
the Magnuson-Stevens Fishery Conservation and Management Act dictates that each
regional fishery management council must
“develop annual catch limits for each of
its managed fisheries that may not exceed the fishing level recommendation of
its scientific and statistical committee or the peer review process established”
elsewhere in Magnuson-Stevens.
“The 2024 [management track] assessment in
June represented the first implementation of the new modeling paradigm and its
use for deriving Biological Reference Points and projections. The SSC appreciated the conceptual advances,
but noted that many of the model features are not easily compared to previous
models, particularly fishing mortality reference points. As in previous models, the stock is not
overfished and overfishing is not occurring.
The stock biomass is more than twice the Bmsy level and
expected to decline towards the biomass target in the short run, but not as quickly
as previously thought. Another
[management track assessment] will be conducted in 2025 to get specifications
for 2026 and 2027. (The shortened
interval between is a result of a management need to synchronize specifications
among the other stocks in the Fishery Management Plan.) An OFL CV of 150% was used, primarily due to
the uncertainty associated with MRIP estimates of recreational removals. The SSC recommends an ABC of 6.027 [metric
tons] for 2025.”
Given that the Acceptable
Biological Catch for 2024 was 7,557 metric tons, and that the 2025
recommendation was about 20 percent lower, the SSC’s decision made a lot of
people unhappy.
While that unhappiness is
understandable, as black sea bass remain one of the most abundant inshore
species, particularly in New England and the upper mid-Atlantic, reading both
the 2021 management track assessment, which was based on the no-longer-used ASAP model,
and the 2024 management track assessment, helps to explain why landings must be reduced
in 2025. In addition, with respect just to the
recreational fishery, it’s easy to argue that landings probably should have
been reduced by 10 percent in 2024, and that any 2025 reductions that may occur
will merely serve as a delayed substitute for measures that should have been adopted a year ago, and don’t even begin to account
for the lowered estimate of the spawning stock biomass target.
In that context, a harvest reduction
of 20 percent seems completely reasonable.
It’s not that the new ABC is being set too low, as some people claim, because of questionable
estimates of recruitment, past fishing mortality, future landings, or any other,
similar factor; instead, the old ABC, used in the 2021 management track
assessment, was set too high, and probably allowed too many black sea
bass to be caught in previous years. The 20 percent
reduction in ABC merely amounts to a reset, which aligns catch with what is now
considered the best estimate of spawning stock biomass.
Yet too many people hear the word
“reduction” and then hear nothing else, but instead have a
knee-jerk reaction to oppose harvest cuts without even trying to
understand why such cuts might be needed.
That was clearly the case at the August 5 Advisory Panel meeting, where
“Advisors were very frustrated with the
20% decline in the 2025 black sea bass acceptable biological catch (ABC) limit
recommended by the Council’s Scientific and Statistical Committee (SSC)
compared to the 2024 ABC.”
At the meeting,
“Several advisors questioned the accuracy
of the biomass projections which inform the ABC…One advisor said it feels as if
the ABC needs to be cut by 20% just in case recruitment is worse in the future…Several
advisors said the current stock projections should not be used in management as
the numbers don’t make sense and there is not a comprehensible explanation for
why biomass is projected to decline rapidly.”
I’ll be the first to admit that
the 2024 management track assessment was a bit sparse, and didn’t provide a particularly
clear explanation for why various values had changed significantly since 2021. Like others, I was a bit puzzled by the assessment's conclusions. However, instead of merely rejecting the assessment and the advice of the SSC, I took the time to
inquire as to why the WHAM seemed to produce such different results. A biologist from the Northeast Fisheries
Science Center provided an explanation:
“The model from the 2024 management track
still exhibits the strong year classes in 2011 and 2015, however the magnitude
is a bit less. This is probably owing to
our new understanding of the recruitment process in the WHAM model. These models allow us to include more
variability in processes like recruitment, survival, and selectivity, such that
these models can have more flexibility to better reflect the actual underlying
population dynamics. There are many
additional features in the WHAM model…compared to the ASAP model…that we think
better reflect reality—the use of a single fisheries independent index that
doesn’t ‘chase noise’ of several fisheries independent indices with small
spatial footprints and a selectivity pattern for the recreational fishery in
the North that more accurately reflects the size limits that changed over
time. The lessened magnitude of those
recruitment spikes does mean the SSB has a consequential increase in the
following years…in 2017-2018. However,
both models end up with SSB in the same place in 2019, they just have different
explanations for how the stock got there.
The changes in [maximum sustainable yield] and target [spawning stock
biomass at maximum sustainable yield] are likely because of our changed perception
of SSB…”
A lot of that could probably be
summed up by saying, “We thought that the spawning stock biomass was larger
than it actually was; now that we know better, we had to revise some of our
estimates downward to reflect our current understanding of reality. Although such summation
wouldn’t capture all of the nuances, it would be close enough to provide a better understanding of why the 20 percent reduction was needed—at least to those
folks who had any desire to actually understand, and not merely fight for the status
quo.
One of the more remarkable
aspects of the discussion was that those representing the recreational sector
seemed unaware of how the recreational black sea bass fishery was actually
managed, and that, because
of the so-called “Percent Change Approach” adopted by the Council and the ASMFC’s
Interstate Fishery Management Plan Policy Board in June, 2022, the biggest
reduction in landings that anglers might experience in 2025 is just 10 percent—and
that’s the worst case, because depending on how the numbers turn out, anglers could
even get a small landings increase.
Pursuant
to the "Precent Change" process, 2024 black sea bass landings should have been reduced by 10
percent, compared to landings in 2023.
However, because competing priorities at the Northeast Fisheries Science
Center delayed completion of the management track assessment by one year, and because the
Percent Change Approach was intended to be used in conjunction with a recent
stock assessment that was not yet available, no reduction in 2024 landings occurred. Thus, even in the worst case scenario, which sees
a 10 percent landings reduction in 2025, the recreational sector will be no worse off
than they would have been had the most recent management track assessment been
completed in time for the current season.
Given such circumstances, the
recreational sector, in particular, has little reason to complain if it must
ultimately face a 10 percent harvest reduction in 2025. Yet not only complaints, but misinformation,
is rife. A recent column in the [Delaware] Cape Gazette
is a prime example, where the author complained that
“Our dear friends at NOAA have once again
done the unbelievable. With the
population of black sea bass at 219% of the biomass target, they are calling
for a 20% decrease in the recreational catch to prevent overfishing. You read that right: They want to cut our catch by 20% to prevent
us from overfishing a stock that is 219% above the biomass target. Please let that sink in for a moment.”
Such overblown rhetoric serves no
one, except perhaps the handful of people that might profit from overharvesting
sea bass in the short term. It creates
antipathy toward fisheries managers and management bodies that are merely
trying to execute their obligations under federal law. And factually, it is just plain wrong.
As noted above, there is no
way that 2025 recreational black sea bass landings will be reduced by 20
percent, so long as the Percent Change Approach remains in effect. The greatest possible reduction will be 10
percent, and a 10 percent increase in landings is not completely out of the
question.
The article confuses the notion of a stock being at 219 percent of the target level with that of a stock being 219 percent above such target—which would denote a stock 100 percentage points larger than it actually is.
It suggests that fisheries
managers are imposing a reduction on their own initiative, rather than merely
carrying out the requirements of the management plan and federal law.
And perhaps worst of all, it
makes no serious effort to explain why the 2024 management track
assessment might lead the SSC, council staff, or those charged to interpret federal
law to believe that a reduction is required.
It is intended only to spawn outrage.
And outrage is a funny thing, because
there are a lot of people, in the recreational fishing industry and in the
angling press, who get outraged when landings are cut. But it’s hard to recall a time when many of
the same writers and industry members were outraged because managers allowed
striped bass to become overfished once again, did nothing to protect the winter
flounder when stocks began to decline, or allowed New England cod stocks to
collapse.
Which probably says more about their
current outrage than you will ever need to know.
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