Hello, and thank you for the opportunity to appear before this committee.
We would like to suggest to you today that the goal of having both a recovered southern resident killer whale population and a vibrant, sustainable recreational fishery should be the Government of Canada's stated objective.
As the Prime Minister recently declared, “In the 21st century, we don't have to choose between a healthy environment and a strong economy. They must go together.” We believe this is certainly true in the case of southern resident killer whales and the communities that share the environment with them. However, the government must make the necessary investments in chinook production and sound scientific research to enable this to happen.
The challenge we face is that so far, DFO has focused mainly on restricting recreational fishing activity in its attempt to address the problem. While no research has been conducted nor evidence collected that these large-scale closures are in any way effective in enabling southern resident killer whales to access more prey, the closures have created significant social and economic disruption in communities like Sooke on southern Vancouver Island, and threaten to exacerbate the disruption with the designation of critical habitat extensions. To make matters worse, these closures were implemented against the advice of both Pacific region DFO staff and a group of marine mammal scientists and fishery managers who convened in November 2017 to come up with solutions to address the accessibility of prey for southern resident killer whales.
We believe that both the whales and the residents of small coastal communities in British Columbia deserve better, and we are seeking your support in ensuring that they get that moving forward.
The unfortunate fact is that the recent proposal for the designation of a huge area of the west coast of Vancouver Island as critical habitat is based on inference, faith and hope rather than science, evidence and sound research. The data used to support the claim that this is critical habitat is poorly designed and lacks the certainty that is required to justify the devastating impacts that large-scale closures will have on the communities that depend on recreational fishing activity. We don't have time to get into the details of the data gaps and potential economic impact today, but we would be pleased for the opportunity to provide the relevant documents and available reports.
As stated, we believe that the Government of Canada can do the right thing for both whales and local communities, but it requires investment, a transparent reliance on evidence-based research and science, and a multi-faceted approach.
First, we believe that DFO needs to invest in gaining a greater understanding of what represents critical habitat for these animals. As stated, the current critical habitat extension designation proposal is based on very infrequent sightings and acoustic monitoring data that demonstrates that in fact the whales are only sporadically present in the area, but counters this with the inference that, and I quote, “It also includes several other relatively shallow banks including La Perouse Bank to the northwest which, like Swiftsure Bank, are among the most productive fishing area for Chinook and other salmonids on the North American west coast. It is probable that the whales make greater use of these banks than the modest number of documented Resident Killer Whale encounters might suggest—this is likely a reflection of the relatively low observer effort in those areas.” That is Ford et al, 2017, which is the critical habitat extension proposal.
“Probable” and “likely” aren't good enough for either the whales or the residents of the west coast of Vancouver Island whose livelihoods and communities are on the line. We urge DFO to invest in the necessary research to make sure we make decisions properly and effectively the first time. It is very possible we may only have one chance to do this right.
Second, we urge DFO to understand that cutting back the 1% to 3% exploitation rates that ocean recreational fisheries currently produce on Fraser River chinook stocks has not and will not increase the availability of chinook to southern resident killer whales. While imposing huge closed areas may look good on a map, it won't do anything for the whales. That same working group struck by DFO of the leading scientists and researchers in the Pacific northwest reached exactly this same conclusion in November 2017.
To address the availability of prey we urge DFO to reinvest in salmon production using strategic enhancement of stocks favoured by southern resident killer whales and to consider focused predator control programs on seals and sea lions that are targeting juvenile salmonids as they leave the Fraser and other important chinook-producing streams in the Salish Sea. Similar measures are being considered in Washington state as part of their recovery plan.
Largely due to budget cuts, salmonid enhancement production of Fraser River-bound chinook, which are the key stocks that southern resident killer whales depend on, have been reduced from just over 15 million in the 1990s, when southern resident killer whales were increasing in their population, to less than three million today. We need to turn this situation around, and we have the expertise to do this. All it requires is funding and political will.
While a much more controversial issue, the population of seals and sea lions in the Salish Sea has increased tenfold since they were protected in the 1970s and they are now estimated to consume up to 47% of all salmon smolts leaving the river systems that drain into the Salish Sea.
We suggest that careful study is required to identify exactly where the problems exist, and that they are then addressed accordingly.
Finally, we urge DFO to listen to its experts, and instead of implementing large areas closed only to recreational fishing activity, to use the concept of a moving protective bubble of a minimum 200 metres in non-refuge areas, and 400 metres in important foraging areas. This would provide the necessary lack of competition for prey, and the elimination, not just reduction, of physical and acoustic disturbance, to enable effective foraging. Again, this measure is being considered in Washington state.
Implementing this measure is a function of education and awareness amongst boaters, whale-watching fleets and fishermen, and is largely under way as a result of the recent move this summer from 100 metres to 200 metres. Anglers have once again been leaders in this area, adopting voluntary best practices that include turning off sonar equipment, removing fishing gear from the water and slowly moving away from whales if they are spotted.
Ladies and gentlemen, thank you for taking the time to listen to us. We urge you to consider meaningful, effective and science-based solutions rather than measures designed to provide the optics that something is being done. Both the southern resident killer whales and the residents of British Columbia's coastal communities are depending on our government to do the right thing.