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The Eel Regulation and Eel Management Plans. Christos THEOPHILOU European Commission Directorate General for Maritime Affairs and Fisheries Unit A2: Common Fisheries Policy and Aquaculture Living North Sea project launch March 26 th 2010 Ghent. OUTLINE. Part I: Timeline of events
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The Eel Regulation and Eel Management Plans Christos THEOPHILOU European Commission Directorate General for Maritime Affairs and Fisheries Unit A2: Common Fisheries Policy and Aquaculture Living North Sea project launch March 26th 2010 Ghent
OUTLINE • Part I: Timeline of events • Part II: Content of Eel Management Plans • Part III: Evaluation of Eel Management Plans • Part IV: State of Play • Part V: Glass Eel and CITES Eel Management Plans
Part I: TIMELINE • 18 September 2007: Adoption of Regulation (EC) No 1100/2007 establishing measures for the recovery of the stock of European eel • 31 December 2008: Deadline for submission of EMP’s Eel Management Plans
TIMELINE • MS must report to the COM every 3 years (then every 6) on: • The % of biomass of silver eel escaping to the sea • The level of fishing effort and reductions thereof • The mortality caused by non-fisheries factors and the reductions thereof • The amount of glass eel caught and the % of these used for different purposes (export, consumption, aquaculture, restocking etc.) • First report due on 31 June 2012. • By 31 December 2013 the COM will report to EP and Council on the outcome of the implementation of EMP’s, up to that date. • Based on the outcome of this report, the Commission may propose additional measures to ensure stock recovery. Eel Management Plans
Part II: Content of the EMP’s • Each MS is required to submit an EMP for each eel river basin (or one covering its entire territory). • We’ve received 70 plans from 19 MS - more than 5,000 pages. • Member States were required to refer to the River Basin Districts established under the Water Framework Directive in order to draft their plans. Eel Management Plans
Content of the EMP’s • Goal of EMP: 40% of silver eel biomass must be allowed to escape to the sea (or downstream) • This is difficult to calculate for most Member States due to lack of data. Models have been used to estimate pristine and actual escapement. • Long-term objective – at least 2-3 eel generations. MS must give a timescale for reaching the 40% target. Eel Management Plans
Content of the EMP’s • Most EMP’s contain measures such as: - fishing effort reduction (commercial and recreational): limitations in seasons, gears, minimum landing sizes. - restocking measures • Not all MS have chosen to address obstacles as this is one of the costliest measures (demolition, modification, construction of up/downstream passes etc.) • Some have chosen trap-and-transport schemes to facilitate silver eel migration. Eel Management Plans
Part III: Evaluation of EMP’s • Step 1: DG MARE has carried out an Admissibility Check of EMP’s for conformity with Regulation 1100/2007. • Step 2: ICES (with support from EIFAC WG Eel) is carrying out the technical evaluation of the EMP’s to answer the following questions: - Will 40% escapement be achieved? - How effective are the proposed measures? - Effectiveness of restocking? etc. • Step 3: The Commission proposes to approve/reject plans, taking ICES advice into consideration. The Member States vote on this proposal (Comitology). • If the Commission takes a Decision to reject a plan, the Member State has 3 months to submit a revised one, otherwise a 50% reduction in fishing effort or catch must be implemented. • EMP’s will be subject to modification / improvement in view of new scientific info/data and changes in stock status. Eel Management Plans
Part IV: State of Play • To date, the EMP’s of the following Member States have been adopted by the Commission: BE, CZ, DK, EE, FI, FR, IE, LT, LU, LV, NL, PL, SE. • DE and UK have received a positive vote by the Member States and will be adopted by the Commission in the coming days. • EL, ES, IT and PT are still under examination. • BG and SI have submitted requests for exemption after the deadline. These requests were refused. Eel Management Plans
Part V: Glass Eel and CITES • According to the Regulation, 60% of glass eel (<12cm long) are to be used in restocking, for the purpose of increasing escapement of silver eel to the sea. (Start at 35%, reach 60% by 2013). • Evolution of market is uncertain. • Prices paid by Asian buyers are usually much higher than those paid by EU restockers. However, EFF support might help level the playing field. • The glass eel season in FR does not fully correspond to the restocking season in northern EU MS. Eel Management Plans
Glass Eel and CITES • Eel is listed on CITES Appendix II. This listing came into force on 13 March 2009. • The Scientific Review Group for CITES debated for about 2 years before taking a decision regarding the implementation of this listing. • An export quota on glass eel was established in 2009. For the 2009-2010 fishing season, the export quota for FR is 14.5 tons. This will be reviewed by the CITES SRG in July 2010. Eel Management Plans
Glass Eel and CITES • Any Member State wishing to export glass eel can only do so once its EMP has been adopted by the Commission. • Only France and Spain have declared their intention to export glass eel from the EU. • Third countries wishing to export eel to the EU must also demonstrate that such export does not harm the stock. Eel Management Plans