Anglers who are even remotely
tuned in to the science addressing the health of the striped bass stock know
that the stock is not doing well. It has been overfished for more than a decade,
there has been a
five-year string of poor recruitment in the Maryland portion of the Chesapeake
Bay, the single most important spawning ground on the coast, and three-years strings
of poor recruitment in both the Delaware River and the Virginia portion of the
Chesapeake Bay.
Only the Hudson River has been
producing near-average spawns.
At the same time, the Atlantic
States Marine Fisheries Commission’s striped bass management plan requires that
managers rebuild the stock to its target level by 2029. The ASMFC’s Atlantic Striped Bass Management
Board has taken a few hesitant steps toward such rebuilding, adopting
emergency measures for the ocean recreational fishery in May 2023 and then
adopting Addendum
II to Amendment 7 to the Interstate Fishery Management Plan for Atlantic
Striped Bass early this year, but both such actions were interim
measures, intended to begin the rebuilding process while managers wait for the
results of the latest stock assessment update.
Such update is scheduled to be
released this fall, in late September or early October, and will be formally
presented to the Management Board at the ASMFC’s annual meeting, which is
schedules to run from October 21-24.
That will be an eventful meeting
for striped bass.
The stock assessment update will inform
the Management Board as to whether current management measures have at least
a 50 percent probability of rebuilding the stock by the 2029 deadline, or
whether additional management measures will be needed to reach that goal. If additional measures are needed, ASMFC’s
Atlantic Striped Bass Technical Committee will provide the Management Board
with possible options that are calculated to reduce striped bass fishing
mortality by whatever amount is needed to make rebuilding by the 2029 deadline likely.
By the time the Management Board
meets, information on striped bass spawning success in 2024 should also be
available. The Maryland and Virginia
juvenile abundance indices are usually released in early October, and the
Delaware River JAI, produced by the State of New Jersey, is usually also
available by that time.
The information presented to the
Management Board, and how the Board reacts to the information that it receives,
will have a long-term impact on the striped bass stock and the striped bass
fishery.
Last Tuesday, at its August
meeting, members of the Management Board provided some glimpses of how its
October meeting might go.
Although no one came out and said
it—which would, in any event, have been premature, since scientists are still
working on the stock assessment update, and don’t know with certainty what it
might reveal—the Management Board discussions seemed to assume that additional
management measures are going to be needed if the stock is to rebuild by 2029. Thus, the discussion largely focused on what
such measures might be.
Dr. Katie Drew, representing the
Technical Committee, set the tone early when she observed that the
“range of viable recreational options may
be limited.”
That’s not necessarily something that everyone wanted to hear, but the plain fact is that, with a 1-fish bag limit and narrow slot size limits in both the ocean and Chesapeake Bay fisheries, reducing the bag limit and/or further narrowing the slot sizes are not realistic alternatives.
Dr.
Drew did also raise the possibility of creating a slot limit that would provide
some additional protection for the 2018 year class, although she did not go so
far as to suggest what such limit might be.
But it's pretty clear that, if we need additional management measures to achieve timely
rebuilding, some sort of closed season is probably the only viable option left.
With that said, the meeting began
to take its usual shape, with some Management Board members championing the
cause of the striped bass, while others sought to protect various parochial
interests. The question of whether the commercial
fishery and recreational fishery ought to make equal contributions to the
striped bass’ recovery was one of the first issues raised.
Robert Brown, Maryland’s
legislative proxy, was vehemently opposed to the idea, opining that
“We [the commercial fishermen] just took a
seven percent reduction…I don’t think it’s justified at this time for the
Technical Committee to consider”
additional commercial
restrictions. He failed to note that the
recreational sector had accepted a 14 percent reduction, twice the size of that
imposed on the commercial fishery, the last time around, and that while the recreational
reduction was to actual landings, the seven percent commercial
reduction was only to quota; since Chesapeake
Bay commercial fishermen only utilized 84 percent of their quota in 2023,
not only did the seven percent quota cut not reduce their landings, it
would allow such landings to increase modestly in 2024.
John Clark, the Delaware
fisheries manager, suggested that, if further reductions in harvest are needed
to rebuild the stock, the recreational
and commercial sectors take “proportional” cuts that reflect each sector’s contribution
to striped bass fishing mortality.
On its face, it was a difficult
suggestion to parse, as requiring each sector to reduce landings by the same percentage is inherently proportional; that is, if the recreational sector is
responsible for 90 percent of the fishing mortality, and the commercial sector
responsible for 10 percent—a 9:1 ratio—and, to oversimplify for illustrative purposes only (for we know that the real numbers are different), we assume that
the recreational sector kills 9 million pounds of fish and the commercial
sector 1 million—also a 9:1 ratio—and each sector is required to take a 10 percent
reduction, the recreational cut would be 900,000 pounds while the commercial
cut would be 100,000 pounds, again maintaining the 9:1 ratio and in perfect
proportion to each sector’s share of the original fishing mortality.
However, based
on the 2019 debate over Addendum VI to Amendment 6 to the Interstate Fishery
Management Plan for Atlantic Striped Bass, that’s probably not what Clark’s
comment intended. Instead, he is probably championing an approach that would force the recreational sector to bear an unfair share of the conservation burden. Using the same
hypothetical fishing mortality employed in the previous example—9 million
pounds recreational, 1 million pounds commercial—and the same required 10
percent reduction, his allegedly "proportional" approach would multiply the 10 percent overall reduction by the commercial sector's 10
percent share of the fishing mortality, to result in a
required commercial reduction of just 1 percent, or 10,000 pounds, while the
other remainder of the required reduction, 990,000 pounds, would be taken from the recreational
sector. That is a very disproportionate
way to impose fishing mortality reductions, but nonetheless seems to be what Clark
has in mind.
Such biased comments can be contrasted
with those made by two other state fisheries managers, Chris Batsavage of North
Carolina and Martin Gary of New York, both of whom clearly had the long-term
interests of the striped bass in mind.
Mr. Batsavage first said that he
was
“more in favor of equal reductions for the
commercial and recreational sectors,”
and was the only Management Board member to acknowledge that previous
recreational reductions had come from actual landings, while previous
commercial reductions had come from quota, and so did not have the same impact
on the respective sectors. Then he said
something that many striped bass anglers have long hoped to hear a Management Board
member say, that in adopting additional management measures intended to facilitate rebuilding by 2029, the Board should be
“aiming a little higher”
than a mere 50 percent
probability of success, in order to make rebuilding more likely.
That was a good start, and then
Mr. Gary took another big step forward, asking Dr. Drew how the stock assessment update
would be presented, particularly with respect to the five years of poor
recruitment recorded in Maryland (and by implication, the three years of poor
recruitment in Virginia and the Delaware River as well). He seemed very aware that rebuilding by 2029,
while important, was not the end of the management process; what happens to the
bass stock after that year will probably have an even greater impact on the long-term health of the stock.
Dr. Drew replied that 2023 will
be the terminal year of the update, so recruitment through 2022 will be
included when the assessment’s calculations are made (we need to note that
recruitment is determined by the number of fish that survive to Year 1, and not
by the juvenile abundance index; at times, low Year 0 survival has resulted in somewhat
disappointing recruitment even though the initial JAI was strong, while very
good Year 0 survival has sometimes led to strong recruitment from what might have been
deemed a solid, but not exceptional, JAI).
She noted that strong year classes prior to and including 2018 will help
the rebuilding process, but also noted that after 2029, the effects of poor
recruitment will be felt, and warned,
“The question of what happens after we
rebuild is something that the Board should start thinking about.”
She said that the scientists
working on the assessment update could stretch out the projections beyond 2029,
and then noted,
“What we have in the bank [with respect to
recruitment] is not promising.”
That was exactly what concerned
Mr. Gary, who was concerned that the public might see spawning stock biomass increase
as the rebuilding deadline drew near, but won’t necessarily be aware of what
will happen as the five (so far) weak year classes begin to move into the
spawning stock, at the same time that the big year classes inevitably decline in
abundance. He urged the Technical
Committee to extend the projections in the assessment update to provide at
least some of that information.
Dr. Justin Davis, the Connecticut fisheries manager, also supported extending the assessment update’s projections farther into the future. He asked whether the current slot limit will protect the 2018 year class (the answer is that the greatest number of 2018s should fall into the slot in 2025, but that the 2018s will begin growing out of the slot in 2026 and, in particular, in 2027).
Given the state of the stock and
the limited number of recreational management measures available, Dr. Davis felt that a no-harvest closure was the “obvious option,” should additional
management measures be needed, but emphasized that such closure should allow
bass to be targeted in a release fishery, saying that
“I still feel that [no-target closures]
are an option of last resort,”
not something that the Management
Board should be considering now.
As noted earlier, proponents
for various special interests also argued for exceptions to whatever management measures
might ultimately be adopted. The most
notable of those was Jason McNamee, the Rhode Island fisheries manager, who
continued to support special regulations that favor the for-hire fleet (even
though there is little evidence that the tighter slot limit imposed by the
Board’s 2023 emergency action did any harm to Rhode Island’s for-hire fleet, as
overall
Rhode Island for-hire trips increased from about 33,000 in 2021 to a little
over 37,500 in 2022 to nearly 44,500 in 2023, when the emergency measures
became effective, although trips targeting striped bass did decline, beginning
in 2022).
Mr. McNamee also expressed
interest in the idea of adopting a moveable slot to protect the 2018 year
class, noting that
“Slot limits work best when they’re
dynamic.”
So what will happen when the Board meets in October?
It’s still hard
to say.
Addendum II provides that
“If an upcoming stock assessment prior to
the rebuilding deadline (currently 2029) indicates the stock is not projected
to rebuild by 2029 with a probability greater than or equal to 50%, the Board could
respond via Board action where the Board could change management
measures by voting to pass a motion at a Board meeting instead of developing an
addendum or amendment (and different from the emergency action process). [emphasis added]”
“Could” is the critical word.
The language was added to
Addendum II because, as the rebuilding deadline grows close, any new management
measures adopted by the Board would have a very limited time to impact
rebuilding. If the Board chose to adopt
measures by a simple vote, bypassing the usual addendum/amendment process, such
measures could be in place for the 2025 season, while measures adopted through
the addendum process probably wouldn’t be effective until 2026.
But at this week’s meeting, there
were signs that at least some Management Board members might be more
comfortable with the addendum process.
Maryland fisheries manager Michael Luisi probably expressed such
concerns most clearly, saying
“These are complicated issues…In October,
if the Board decides to move forward with something, it’s got to be pretty
simple.”
He expressed concern that language
in Amendment
7 to the Interstate Fishery Management Plan for Atlantic Striped Bass,
which prohibits the use of conservation equivalency (the doctrine that allows
states to adopt measures different from those approved by the Board, so long as
such measures have the same conservation effect) when the stock is overfished,
may make it more difficult to adopt new measures at the October meeting.
If too many Management Board
members feel the same way, it is very possible that the Board will do nothing
but dither in October, and the supposed “interim” measures of Addendum II will
be carried forward for another year.
But if enough people on the
Management Board want to fulfill their obligation to rebuild the stock by 2029,
it can still happen.
In my view, the simplest way to
approach the issue would be to adopt a no-harvest season on a regional basis.
Pursuant to that approach, should the stock assessment
update reveal that fishing mortality must be reduced by a certain percentage in
order to make timely rebuilding likely, each region would be required to close
the bass fishery to harvest long enough to achieve the needed reduction (or,
better, the Board would take Mr. Batsavage’s advice to “aim a little higher”
and impose a reduction somewhat greater than would theoretically be needed to
achieve rebuilding, to account for the inevitable management uncertainty). The exact dates of such closures would be up to the
states involved, so long as the reduction was achieved.
Setting the regions will always
engender debate, for there are always conflicting reasons why a state should or should not
be tied to another state or state for management purposes. But the Board wouldn’t go far wrong if it began
with five regions to start: Maine/New
Hampshire, Massachusetts/Rhode Island/Connecticut, New York/New Jersey, Delaware/Maryland/Virginia,
and North Carolina. Within all such proposed regions, the states have seasons and fisheries that are similar enough to get
the job done.
Yes, New Jersey might complain
that its Delaware Bay fishery might be too different from New York’s to work,
and New York and/or Connecticut might complain that such split might cause
problems in Long Island Sound, while Maryland…
But we’re not looking for perfection here, just for something that can
get the job done.
Again, that's only my approach to the problem, and it is very likely that whatever the Board ultimately does, if it does anything, will differ from my proposition to a greater or lesser degree.
I just put my idea out there to show that the Board can easily put together
something that works if it wants to.
But what if it doesn’t, and decides to
kick the can down the road through another addendum process?
The striped bass stock is not
doing well, and it will be under real stress when the weak year classes—so far,
2019 through 2023, although there could be more down the road—take their place
in the spawning stock. If the Management
Board fails to do all that it can to rebuild the stock before that happens, and so fails to put the
striped bass stock in the best possible position before the poor year classes
force an inevitable biomass decline, the Board will have failed in its duty to both the striped
bass and to striped bass fishermen, whether recreational or commercial.
Such failure, should it occur, would
be a very, very hard thing to forgive.
Great read. Thanks for sharing. Let’s pray. Some good is done for the Striped bass. It’s such a beautiful animal.
ReplyDeleteDear Charles,
ReplyDeleteIf you think the striped bass stock is in decline, you should step out of your cubicle and go out and witness a spring and fall run. For someone who claims to be on the water for fifty years your knowledge appears minimal. The YOY in the Chesapeake and Maryland is down because the fish don’t just spawn there and nowhere else. They MUST be spawning further north and east in every estuary along the coast. How else could we be seeing all these different Year classes that you and the scientific community say don’t exist. You spew as though you are out there every day but you’re not. in fact you’re probably nothing more than a weekend warrior professing to save the species. Do is all a favor and convince Dr Drew to go out and observe the fish stock instead of swallowing what she is fed from the scientific community.
Rick Etzel
If you want to keep whistling past the graveyard, I'm not going to try to stop you. The problem is, I've seen this show before, and I know how it ends.
DeleteWhile it might be comforting to believe that the bulk of the spawning has shifted to the northern rivers, that's just not true. The Chesapeake Bay still produces at least 70% of all bass on the coast, and abouit 2/3 of those come from Maryland.
People like to claim the fish are spawning farther north, but they can never demonstrate where. If we look at the three major rivers in Connecticut, the Housatonic, Thames, and Connecticut, the first two have dams too close to tidewater, that block access to potential spawning grounds. The Connecticut River probably provides some minor contribution to the stock, but it is a trivial amount (this information from CT DEEP). No reported spawning in Rhode Island. Not aware of any reported spawning in Massachusetts or New Hampshire. Bass do spawn in Maine;s Kennebec, but those spawns have failed in recent years. So while folks may hope that bass are spawning up north, there is no sign that is happening. (And the 2023 spawn in the Hudson was the worst since 1985)
There are still fish around from strong year classes in 2001, 03, 04, 05, 11, 15, 17, and 18. But there are fewer of those very year, and nothing is coming up behind them. By 2028, fish under 31 inches will be scarce, and that won't change until at least 2030, and if we don't get a good spawn this year, it won't happen then.
I heard the same thing back in the late 1979s--people who made a living off the bass pointing at the bigger fish that they were catching, and ignoring the poor spawns. Most went out of business a few years later after the stock collapsed.
I saw some Montauk charters intentionally violate the NY moratorium back in the '80s, trying to "prove" that all was OK and the rules weren't needed. The bass proved them wrong.
The spring and fall runs are nothing like they were even a decade ago, they are shorter, and much more localized. Look at what didn't happen in Raritan Bay this spring. Yes, bunker made for fast fishing in the NY Bight last fall, but that was more a question of the bait making the fish unusually catchable rather than a real indication of coastwide abundance.
As you said, I've been doing this for 50 years--closer to 60 now--and I know what a healthy stock looks like. It'd doesn't look like what we have now.
Dear Charles,
DeleteI guess we will have to agree to disagree. Sounds like you and I have the same amount of years invested in the fishery, only mine were full time. Fishing has been my only occupation. I know you can’t say the same. While I appreciate your time you volunteer for the MRAC, I have to disagree over panic of the YOY. Every year can’t be a good spawn. Mother Nature doesn’t work that way. I understand why fishery Management doesn’t want to hear that. In fact if you mention the term “natural cycle” to them they seem dumb founded.
And just to prove to you that the YOY isn’t as important as you think, the 1982 year class that came from the smallest Striped Bass stock since records started, proved to be one of the biggest spawns ever.
After the moratorium in the mid 80’s, we protected that year class with a minimum size limit. Starting with a 33” limit and eventually going to 38” if my memory serves me correctly. I don’t think I have to tell you the results of that management plan but I will because I think you need to be reminded. From the 90’s through the early 2000’s Striped Bass population exploded to numbers no one had ever seen. Which begs the question I’ve been wanting to ask you with all your worldly knowledge, why did you support a slot limit when we knew a minimum size limit was proven to work? You voted to throw proven science out the window. And now we are in this situation because management decided to use the mid 90’s as the bench mark. That was the biggest mistake because that was not the norm.
So you see when you talk about how long you’ve been around, and the species you’ve seen come and go, there is always someone or some members of the fishing communities with just as much or more experience than yourself.
Thanks, would love to read your reply. Rick Etzel
PS Been in Montauk my whole life and don’t remember any charters pirating Striped Bass during the moratorium.