Devon & Severn Inshore Fisheries and Conservation Authority (D&SIFCA) Netting Permit Bylaw Review, Benefits and Implications

Andrew Burt Chairman of the National Mullet Club is urging anglers who have benefited from the netting ban in estuaries across the South West to express their thoughts regarding the significant benefits in extending the current bylaw that has undoubtedly protected stocks that are valuable to the recreational angling community who largely practice catch and release. 

Below is an explanation of the current situation with information that can be drwn upon when drafting a letter or email.

Devon & Severn Inshore Fisheries and Conservation Authority (D&SIFCA) Netting Permit Bylaw Review, Benefits and Implications

The D&S IFCA netting bylaw, D&S IFCA MCRS and Bylaws (see page 20 for netting), came into effect on the 1st March 2018. After 5 years it is now up for review and the process will start shortly.

D&S IFCA introduced this bylaw to protect salmonids, bass, grey mullet and other species that use these inshore areas for migration, as nurseries or for refuge. In doing so D&S IFCA recognised the importance of protecting these areas from commercial fishing and the benefits to recreational fishing and local communities. It is worth noting that many of these areas now fully protected are BNAs (Bass Nursery Areas) and are ecologically sensitive.

The bylaw as it stands only allows for seine netting for sandeels. This offers complete protection of all other species using the estuaries and harbours.

The Environment Agency pushed for a complete ban due to the poor ecological status of salmonids particularly Atlantic Salmon. The financial benefit to local communities of thriving salmon and sea trout is huge, not only getting local rods out fishing again but attracting anglers from other parts of the country to return.

The harbours and estuaries are home to all three native UK grey mullet species, particularly thick and thin lipped. These two species use these areas throughout the juvenile stages and then adulthood. It can take a thick lip mullet 10 – 12 years to reach maturity before they can breed for the first time. Often aggregating in large shoals and demonstrating a high site fidelity (often returning to the same places) they are particularly vulnerable to overfishing. During winter months they are known to aggregate in particularly large shoals prior to spawning; this makes them extremely vulnerable to commercial exploitation at the time when they are most in need of protection.

As previously mentioned, many of the areas protected are already BNAs, however this does not protect bass from unscrupulous commercial fishing or mortality when caught in nets set for other species and outside of months when bass nursery regulations apply, see link for current regulations,D&S IFCA Bass Nursery Areas and Regulations . Like grey mullet species they are spiky and easily caught in gill nets of any mesh fished tight or slack.

These inshore areas are important not only for the fish but for recreational angling as they offer good access as few anglers have boats and fishing from the open coast is often not possible or safe. Thriving inshore fisheries are of huge benefit recreationally and financially to local communities where anglers can fish for species such as grey mullet, flounder and gilthead bream that are of low importance to commercial fishing as well as bass. Further up the rivers anglers and communities benefit from increased salmonid stocks.

It should be noted that much of the recreational fishing is catch and release, it is estimated that over 95% of grey mullet caught recreationally are returned alive (who would want to eat a fish that has spent 10 – 20 years eating detritus including raw sewage anyway?). Some species more commonly retained such as bass (bass may not be retained if caught from a

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boat), impact is extremely low and recreational anglers are severely restricted as to how many bass may be retained.

To sum up, the bylaw has little impact upon commercial fishing but huge positive impacts upon the fish living inshore, the communities and the financial value generated for Devon and Somerset. We firmly believe that there has been a positive impact upon the quantity and size of species since the bylaw was instigated as well as an increase in range of some species such as gilthead bream. During previous consultation landing data from the commercial sector highlighted the low commercial importance of these areas. The protection of these nursery and refuge areas, social and economic benefits to recreational angling, coastal communities as well as those further inland surely highlight that this bylaw should not be changed to weaken it. If you fish in the D&S IFCA region, please take a few minutes to contact D&S IFCA using the details below about the positive impacts and future potential the bylaw offers.

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More Info

https://www.devonandsevernifca.gov.uk

D&S IFCA Home

ADDRESS: Brixham Laboratory, Freshwater Quarry,
Brixham, Devon,
TQ5 8BA

D&S IFCA Region

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EMAIL: [email protected] PHONE: 01803 854648
OUT OF HOURS: 07740 175479