Discussions between the Australian Recreational Fishing Foundation (ARFF) and the Small Pelagic Fishery Industry Association (SPFIA)

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25 May 2015 Grahame Turk Chairman Small Pelagic Fishery Industry Association Locked Bag 247 Bank St Pyrmont NSW 2009 Dear Grahame Discussions between the Australian Recreational Fishing Foundation (ARFF) and the Small Pelagic Fishery Industry Association (SPFIA) Thank you for your letter of 22 May 2015 (attached), outlining the SPFIA response to the ARFF proposal to minimise the effects of fishing the small pelagic fishery on Australia s recreational fishers and the communities that support them. Following discussions with our members and supporters, ARFF is of the view that your response is unacceptable. Disappointingly, it reflects little appreciation of the concerns recreational fishers have about the effect of the Geelong Star on the small pelagic fishery, recreational fishers or the communities that support them and does nothing to address these concerns. The areas offered in your response, where the Geelong Star will not fish in the next 6 months, is less than 1 percent of the total SPF area and less than 10 percent of the areas of concern outlined in the ARFF proposal. The areas identified in your response also exclude many iconic recreational fishing areas in NSW, Victoria, Tasmania, South Australia and Western Australia. It is hard to assess your offer as a sign of good faith when the vessel can still fish over 3 million square kilolmetres of the fishery and the large majority of our iconic recreational fishing grounds. In addition, your response makes no mention of the need for a comprehensive research program focusing on the impacts of industrial scale fishing on the SPF, recreational fishers and the communities that support them. This is an essential element of our wish to undertake discussions with the SPFIA and has been the focus of a number of conversations between ARFF and SPFIA. We are disappointed that this has not warranted a mention in your response. ARFF notes the principles for an agreement outlined in your response. Apart from not considering them appropriate at this stage of discussions, we would ask you to retract these principles immediately as they have legal inference against ARFF and could result in legal recourse. We do not think that is your intention. After full consideration of the SPFIA response, ARFF is of the view that discussions between the two organisations can only continue toward an agreement if SPFIA agree to the following terms: The Geelong Star will not fish any areas of concern, as outlined in the ARFF proposal, for a period of 9 months without prior agreement from ARFF noting that the areas of concern are less than 10 percent of the 3 million square kilometres of the SPF. SPFIA will support the development of a comprehensive research program focusing on the information gaps outlined in the ARFF proposal. ARFF, Unit 3, 22 Napier Close, Deakin West ACT 2600 Website: www.arff.com.au Postal Address: ARFF, PO Box 118, Deakin West ACT 2600 Telephone: 02 6282 8500 ABN 89 158 223 940

Any agreement developed between SPFIA and ARFF would be endorsed by AFMA and the Federal Government and any spatial management protocols agreed upon would be incorporated into a tripartite agreement between ARFF, SPFIA and AFMA. SPFIA agree to an independent facilitator to assist further discussions toward an agreement between ARFF and SPFIA. ARFF and SPFIA representatives meet within a week of SPFIA receiving this letter to progress discussions toward an agreement. We wish a meeting time table to be developed with an objective of having an agreement in place by 15 June 2015. Noting that your agreement to these terms are required for the discussions to continue, we seek your response to these terms by COB (5.00 AEST), Tuesday 26 May 2015. If we do not receive a response from you by the specified time we will assume discussions between ARFF and SPFIA on industrial fishing of the small pelagic fishery are terminated. I have included the responses of ARFF members to your letter of 22 May 2015 for your information. We look forward to your response. Yours sincerely Allan Hansard Managing Director ARFF, Unit 3, 22 Napier Close, Deakin West ACT 2600 Website: www.arff.com.au Postal Address: ARFF, PO Box 118, Deakin West ACT 2600 Telephone: 02 6282 8500 ABN 89 158 223 940

Mr Allan Hansard Managing Director Australian Recreational Fishing Foundation P.O Box 118 Deakin West ACT 2600 Email: Allan.Hansard@afta.net.au Dear Mr Hansard Re: SPFIA response to ARFF proposal VRFish position I am writing regarding the response from the Small Pelagic Fishery Industry Association (SPFIA) on 22 May 2015 to ARFF s proposal to minimise impact of the small pelagic fishery on Australia s recreational fishers. In providing our response, we have consulted the Game Fishing Association of Victoria and nonclub based recreational fishing interests. We have also consulted a number of charter fishers currently operating out of South-west Victoria. VRFish is disappointed by the response from the SPFIA. We are left with no option but to firmly reject their offer on the basis that it falls well short of our expectations to minimise the impacts of the SPF on our iconic recreational fisheries. For example, current high priority areas for Victoria include Apollo Bay, Warrnambool, Port Fairy and Portland. It is most disappointing that none of these ports have been recognised by the SPFIA response. The recreational fishery for southern bluefin tuna in Portland alone has been conservatively valued at $10 million annually. Additionally, in the offer there is no mention of the proposal for research into the impacts of industrial fishing on recreational fishers and the communities that support them. VRFish agrees future research is a vital element of the proposal put forward by ARFF. The proposed principles for future engagement are also concerning, especially the unwillingness to have any spatial management agreement legislated by the Australian Fisheries Management Authority. Once again, thank you for your hard work on this important issue. We look forward to continuing to work closely with ARFF members on this matter in future. Yours sincerely, Dallas D Silva General Manager Victorian Recreational Fishing Peak Body 25 May 2015

24/05/2015 Allan Hansard Managing Director Australian Recreational Fishing Foundation P.O Box 118 Deakin West ACT 2600 RecFish SA 6 Mary street Hindmarsh SA, 5007 office@recfishsa.com.au Dear Allan, Response to May 22 SPFIA offer. I am writing to you regarding the offer put forward by the Small Pelagic Fishery Industry Association (SPFIA) on Friday May 22, 2015, in response to ARFF s April 15 document A proposal to minimise the effects of fishing the small pelagic fishery on Australia s recreational fishers and the communities that support them. RecFish SA cannot accept the offer put forward by the SPFIA as it does not reasonably address the concerns expressed by South Australian recreational fishers. RecFish SA are disappointed that it does not appear as though the SPFIA have given due consideration to the area(s) of concern put forward by the ARFF with regard to South Australia or for that matter, other states. While it is noted that the SPFIA have offered to stay out a zone extending 50nm from Coffin Bay, for a period of 6 months, there is no mention of any protection to prevent possible localised depletion around the iconic Southern Bluefin Tuna fishery at Port MacDonnell. Similarly, recreational areas of concern around Robe and Kangaroo Island also appear to have been completely ignored. Additionally, in the offer there is no mention of the proposal for research into the impacts of industrial fishing on recreational fishers and the communities that support them. RecFish SA consider such research as being an important part of the proposal put forward by ARFF. Finally, RecFish SA know nothing of threats of violence or harm and find the suggestion that ARFF (and its members) have any knowledge or influence over such matters to be entirely misplaced and inappropriate. RecFish SA urge ARFF to reject the SPFIA offer. Sincerely, Secretary David Ciaravolo

The Recreational Fishing Alliance of NSW Promoting Sustainable Fishing PO Box 328 Matraville, NSW 2036 Email: secretary@rfansw.com.au Website: www.rfansw.com.au A.B.N. 52 142 674 484 NSW Incorporations No. 9874764 Allan Hansard Managing Director Australian Recreational Fishing Foundation P.O Box 118 Deakin West ACT 2600 Email: allan.hansard@afta.net.au 24 th May 20015 Australian Recreational Fishing Foundation Small Pelagic Fisheries Association SPFIA Dear Allan, Geelong Star SPF spatial management discussions The Recreational Fishing Alliance of NSW in its capacity as the NSW Recreational Fishing representational body fully rejects the Small Pelagic Fisheries Associations response dated 22 nd May 2015, to the Australian Recreational Fishing Foundations ARFF proposal dated 22 nd April 2015 being a proposal to minimise the effects of fishing the small pelagic fishery on Australia s recreational fishers and the communities that support them. The Alliance would also like to note its extreme disappointment and concern relating to several counter conditions included in the SPFIA s response, and questions the level of respect and trustworthiness of the organisation towards the professional approach that ARFF members have adopted in all their internal and external discussions on the subject. RFA does note the SPFIA offered to respect a small portion of the iconic recreational fishing areas ARFF have spoken about and listed within its proposal, however the non acceptance to recognise all of New South Wales iconic offshore fishing areas, and to consider the significance based around targeting aggregations of spawning small pelagic fish along the southern NSW coast, aand those across Bass Strait and around Tasmania is unacceptable. We also make note that the SPFIA has offered other states some minor concessions, once again these have not included all their iconic recreational areas for those state based ARFF members. The Alliance understands the importance of Fisheries Research to better understand and benefit all stakeholders. ARFF should be seen to continue its actions and seek the SPFIA s support to gather as much relevant scientific small pelagic fish, fisheries and environmental data as possible to improve how the Fishery is assessed and stock assessment are completed in the future. So for the reasons and concerns provided above, the Recreational Fishing Alliance of NSW reiterates its rejection of the Small Pelagic Fisheries Associations response. In closing the Alliance would like to thank the ARFF team that has being dealing with the SPF negotiations, and look forward to the ongoing battle to better understand and manage industrial scale fishing of this nature in such Australian Fisheries. Kind regards Stan Konstantaras Chairman Recreational Fishing Alliance of NSW The RFA of NSW- PROMOTING SAFE AND ENJOYABLE FISHING For more translated material and downloads on rock fishing safety visit www.rfansw.com.au or www.safefishing.com.au or www.dpi.nsw.gov.au

Allan Hansard Managing Director Australian Recreational Fishing Foundation P.O Box 118 Deakin West 2600 24 th May 2015 Dear Allan The TARFish Committee have reviewed the SPFIA counter proposal dated 22 nd May 2015 in relation to the fishing activities of the Geelong Star in the small pelagic fishery and advise that it is rejected outright. The rejection is based on the TARFish Committee s belief that the SPFIA has not taken the ARFF proposal substance seriously with its counter proposal nor does it accept implicitly the potential impacts of the Geelong Star and proffered meaningful mitigation measures to protect recreational fishing activities around Tasmanian waters. The TARFish Committee do not believe the SPFIA have shown genuine good faith in the discussions with ARFF and believe the SPFIA from the outset have seen the discussions as a delaying and stalling tactic to further their own interests and the interests of their members at the expense of the genuine concerns the recreational fishing community have long held in relation to industrial scale fishing operations in the small pelagic fishery. Regards Mark Nikolai Chief Executive Officer GPO Box 2198, Hobart, 7001 Ph: 1300 665 225 Mob: 0403 868 004 Office: 179 Blessington Street, South Arm, 7022. Email: info@tarfish.org ABN: 92 079 457 285

Fishing for the Future PO BOX 3013 Warner QLD 4500 Phone (07) 3882 4518 www.sunfishqld.com.au ABN 26 590 693 754 23 rd May 2015 Allan Hansard Australian Recreational Fishing Foundation Sunfish Queensland Inc. rejects the response from the SPFIA on 22 nd May 2015. We believe they have not responded in good faith towards fair and reasonable negotiation. Kind Regards Judy Lynne Executive Officer Sunfish Queensland Inc 07 3882 4518 0409 056 437 Representing the interests of Recreational Fishing

AMATEUR FISHERMEN S ASSOCIATION OF THE NT INC. Allan Hansard Managing Director Australian Recreational Fishing Foundation P.O Box 118 Deakin West ACT 2600 Dear Allan, RE: SPFIA letter The Amateur Fishermen s Association of the NT (AFANT) fully rejects the offer put forward by the Small Pelagic Fishery Industry Association (SPFIA) on Friday May 22, 2015, in response to ARFF s April15 document A proposal to minimise the effects of fishing the small pelagic fishery on Australia s recreational fishers and the communities that support them. AFANT has numerous concerns relating to several conditions put forward in the SPFIA s response, and believes these conditions disrespects the professional approach that ARFF has adopted in these negotiations. AFANT believes the small proportion of the iconic recreational fishing grounds offered to be respected by the SPFIA is unacceptable and that SPFIA should recognise and respect all states iconic offshore fishing grounds and strongly consider the significance of targeting aggregations of spawning small pelagic fish in relation to these iconic recreational fisheries. AFANT understands that in the offer there is no mention of important research into the effects of industrial fishing on recreational fishing, the economic benefits these fishermen provide and the communities that will be most affected. AFANT considers this research to be vital component of the proposal put forward by ARFF. AFANT also is deeply dismayed by the implications that its members or recreational fishermen would threaten "violence or harm to the SPFIA. ARFF and the peak bodies it represents have always acted in a professional and courteous manner at all times and to suggest that our members would have any knowledge or influence over threats of violence is deeply disturbing. On behalf of the recreational fishermen of the Northern Territory AFANT urges ARFF to reject this offer. Yours sincerely Tristan Sloan Executive Officer May 25, 2015 Representing recreational fishing in the NT and ensuring the quality of our sport PO Box 40694 Casuarina NT 0811 Phone: 08 8945 6455 Fax: 08 8945 6055 Email: craig@afant.com.au www.afant.com.au

Australian National Sportfishing Association Ltd ACN 063 293 514 COMMITTED TO CONSERVATION & INTEGRITY IN SPORTFISHING SINCE 1967 23 May 2015 Allan Hansard Managing Director Australian Recreational Fishing Foundation Email: allan.hansard@afta.net.au Dear Allan, Re: Discussions between ARFF and SPFIA. The Board of ANSA has fully considered the counter proposal submitted by the SPFIA on 22 May 2015 and is very disappointed by the seeming lack of genuine interest or intent by the SPFIA to reach an accommodation with ARFF and its members in terms of where its member vessels can fish to minimise impacts upon recreational fishing and fishery resources. It is regrettable that after some 2 months of ongoing dialogue and expressions of supposed good faith by both parties that this is the very best that SPFIA is prepared to offer. ANSA also has serious reservations with the conditions which SPFIA would wish ARFF to enter into as a precursor for any agreed proposal for co management of this fishery over the next 12 months. ANSA also takes strong objection to the inference that ARFF or its members have in any way engaged in threatening or violent behaviour and the requirement for ARFF and its members to gag public comment on the commercial operations of the SPF. As stated during this afternoon's phone conference, the ANSA Board rejects absolutely the SPFIA counter proposal of 22 May and applicable terms and conditions and can see little point in ARFF progressing further dialogue with the SPFIA unless it is prepared to give serious and genuine consideration to the ARFF proposal presented on 15 April 2015. Yours sincerely John Burgess Executive Officer/ Director ANSA Australian National Sportfishing Association Ltd ANSA Board Enquiries to: John Burgess PO Box 328 Telephone: 02 93113200 Matraville Mobile: 0408609586 NSW 2036 Email: abtrap@yahoo.com.au

25 May 2015 Allan Hansard Managing Director Australian Recreational Fishing Foundation PO Box 118 Deakin ACT 2600 Dear Allan Keep Australia Fishing has read the response from the Small Pelagic Fishing Industry Association (SPFIA) received on 22 May 2015. Keep Australia Fishing is disappointed with this response as it shows little understanding by SPFIA of the concerns recreational fishers have about industrial scale fishing of the small pelagic fishery and why we wished to pursue discussions with them in the first place. Unfortunately, in our opinion it also demonstrates only a token willingness by them to continue discussions. Unless there is a substantial change in their stance on this issue, Keep Australia Fishing suggests the discussions not continue. Jim Harnwell Managing Director Keep Australia Fishing Mail: PO Box 3119, Loganholme QLD 4129 Email: Enquiries @keepaustraliafishing.com.au Website: keepaustraliafishing.org Facebook:Facebook.com/keepaustraliafishing

A proposal to minimise the effects of fishing the small pelagic fishery on Australia s recreational fishers and the communities that support them Submitted to: The Small Pelagic Fishery Industry Association By: The Australian Recreational Fishing Foundation 15 April 2015

A proposal to minimise the effects of fishing the small pelagic fishery on Australia s recreational fishers and the communities that support them The Australian Recreational Fishing Foundation (ARFF) is the peak national organisation that represents the interests of Australia s recreational fishing community, through its members and supporters. Its members and supporters include: All national bodies representing recreational fishers The business community that supports them; and Key state based recreational fishing organisations. Australia s recreational fishers are the largest stakeholder user group affected by fisheries management activities that include commercial fishing activities in the Small Pelagic Fishery (SPF). ARFF has concerns about industrial scale fishing of the SPF. These concerns have been long standing and have been well articulated. We note and respect that the Small Pelagic Fisheries Industry Association (SPFIA) may not share or agree with the views of ARFF in relation to the SPF. The ARFF s preferred position on commercial fishing of the SPF is for further research to be done on the fishery before any decisions are made about - if and how it is fished. However, if the SPF is to be fished, ARFF requires caution on how it is fished until more is known about: The nature of the fishery, including size of stock, whether there are sub stocks and movement of stock; The rationale for the departure from established practice for estimating stock sizes and the classification of some SPF species as Tier 2 in the absence of applicable and current science to estimate spawning bio masses; The impacts of industrial scale fishing on recreational fishing and the broader community; The triple bottom line relative value of industrial scale fishing for the Australian community; The existence of sub/resident populations and the risks of localised depletion; and How long it takes a school to recover from industrial scale fishing pressure. ARFF acknowledges that the Government has commissioned additional research to address these concerns. However, the fact remains that fishing of the SPF at the scale and in the way proposed remains untried in Australia and as a result many of ARFF s concerns remain unanswered. ARFF s concerns are detailed in Attachment A.

ARFF acknowledges that the Government has provided the approvals for industrial scale fishing in the SPF consistent with approved SPF TAC levels for 2014/15, which lapse on 1 May 2015. The SPF is a vitally important fishery for Australia s recreational fishers. We believe that unless carefully managed, what happens in the fishery can have impacts on Australia s recreational fishers and the communities that support them now and in the future. The fishery covers a large proportion of Australia s coastline including all of our major capital cities and regional centres, from Brisbane, south to Sydney and Hobart, across to Melbourne, Adelaide and Perth; The fishery covers some of Australia s most iconic recreational fishing grounds; Under legislation for this fishery the Seafish Tasmania vessel Geelong Star can fish to three nautical miles (the boundary of Commonwealth waters) of many of these population centres and in many of our iconic fishing grounds, at any time of the year; and Small pelagic fish are a major food source within the marine food web that includes key recreational species such as southern bluefin tuna, yellowfin tuna, marlin and kingfish. In developing this proposal it is ARFF s intention to minimise the short and long term impact of industrial scale fishing the SPF on Australia s recreational fishers and the communities that support it. In providing this proposal to the Small Pelagic Fisheries Industry Association (SPFIA) it is ARFF s intention to seek an agreement to address our concerns in good faith, noting that the SPFIA may not necessarily share the concerns ARFF has about the fishery. A way forward The ARFF believes the impacts of fishing the SPF on recreational fishers and the community that supports them may be able to be addressed in two ways: Managing where and when the vessel fishes; and Establishing a comprehensive work program of research to better inform the management of the fishery. ARFF proposes the establishment of a joint management committee, comprising representatives from ARFF and SPFIA to develop and progress all aspects of this approach further. Managing where and when the vessel fishes the SPF ARFF are seeking caution on how and where the SPF is fished. In particular, ARFF seek caution in relation to fishing the following: Areas near to major cities and regional centres; Areas near iconic recreational fishing grounds; Areas where little is known about the size or movement of SPF; and Areas near known spawning aggregations/areas. ARFF is proposing an interim plan for where the Geelong Star will fish in its

first year of operation in the fishery (2015-16). ARFF seeks agreement from SPFIA that the Geelong Star will not fish in its first year of operation in the areas of concern identified on the attached map (Attachment B). The areas of concern acknowledge: Areas that are close to major cities, Areas that are close to iconic recreational fishing grounds, and The need for more scientific information about stock movement, school recovery rates, sub stocks and spawning aggregations. ARFF propose that the joint management committee take responsibility for developing a plan for the second year of activity and for subsequent years, reflecting what is learnt through the comprehensive work program. After consideration of any new information from the work program and noting the move on provisions in the vessel management plan (VMP), ARFF would consider alternative ways to manage the fishery in the future, including: When certain areas are fished; and The intensity of fishing certain areas. Establishing a comprehensive work program To parallel the management of where the vessel fishes, ARFF propose the development of a comprehensive work program of research to better inform the management of the fishery. The work program would include research into the ARFF s concerns (See Attachment A). ARFF seeks the support of SPFIA in developing and submitting a comprehensive work program to the Government for approval and implementation. A tripartite agreement If there is a basis for agreement, it would be our expectation that AFMA and the Federal Government would endorse any agreement reached between the ARFF and the SPFIA and any management protocols agreed upon being incorporated into a tripartite agreement between ARFF, SPFIA and AFMA. ARFF looks forward to working with the SPFIA in exploring the approaches raised in this proposal and developing this proposal further.

Attachment A: The Concerns of the ARFF in relation to industrial scale fishing the SPF Identification of regional based substocks - in particular the size of the resident population of resident Jack Mackerel off the east coast of Tasmania and whether there are sub stocks of Redbait; The extent and rates of movement of target and by catch species; The impact upon spawning activity during spawning seasons; The amount of time it would take for local populations to recover; Impacts of varying intensities of fishing and fishing techniques, including multiple boat operations; The issue of classification within both Eastern and Western zones of the SPF of target species as Tier 2 in the absence of current and required science to make biomass assessments consistent with established policy; The unknown impact of increased harvest rates if the TAC levels were to be increased beyond the approved levels set for 2014/15 which lapse on 1 May 2015; Risk thresholds for localised depletion and management plans to address these risks; The rationale for changing the VMP move on rules from an inshore (blue)/ offshore (green) grid arrangement (which limited catch to 4% and 16% respectively over 30 day periods) and replacement with a more generous regional catch limit protocol; The reliance of key recreational fishing species on Small Pelagics; Impacts on existing commercial fishing, local communities and recreational fishing opportunities; Whether industrial scale fishing the SPF represents the highest value use to the Australian community; What guarantees exist that the revenues from this fishing activity will predominantly flow into the Australian economy via local job creation, operational expenditure and taxation impost?

Attachment B