Fishing Vessel American Challenger runs aground on Marin coast

Click the text above “Fishing Vessel American Challenger breaks free…”to see this entire post.

Saturdy 6 March the 31 meter long FV American Challenger ran aground on the Marin coast between Estero Americano and Estero San Antonio.

So far the ship remains intact. An unknown amount of petroleum product has leaked out, though it is not known how much diesel was in the 7000 gallon capacity tanks.

The latest information may be found here

Below are images I made showing the wreck site, as well as efforts to protect the commercial oyster/clam/mussel beds in Tomales Bay, just 6 miles SSE of the wreck site.

Those of us who spend considerable time and energy cleaning up after the many shipwrecks that happen along our coast sincerely hope that the authorities will track down those responsible for this avoidable situation and ensure they pay the bill to clean up this mess. Simply pumping the fuel and lubricants off the ship and walking away, leaving the HUGE debris pile to come is NOT adequate.

All images and video are ©Richard James and may NOT be used or linked to without written permission by the photographer (info@ocastodian.org).

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Whales off Point Reyes send message to delay crab season

Click the words above “Whales off Point Reyes telegraph message to delay crab season” to see this entire post.

While recreationally crab and rock fishing off the Point Reyes beach this past Monday the 18th of November I was witness to some amazing whale activity I’d never before seen.

At least three whales (Humpback?) were repeatedly and rapidly slapping the surface of the sea with their tales.

Maybe they could sense that soon, many thousands of heavy traps with ropes and buoys were about to be dropped into the sea where they feed.

Maybe they were letting us recreational crab fishermen know that human activity takes a huge toll on whales and other marine life.

Whether it be from the millions of pounds of plastic humans dump into the sea each year, or, the deep cuts into their flesh when they and their relatives get tangled up in the ropes used to tether traps to buoys.

I tend to think they were sending a message to us. Are we listening?

Thankfully the CDFW and commercial crabbers got the message and pushed back the day when up to 170,000 traps with thousands of miles of plastic rope and hundreds of thousands of buoys are repeatedly dropped in the sea in search of dungeness crab.

Support clean coasts and oceans by supporting your coastodian.

Click on an image to see a larger version.
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Whales slap the surface of the sea off Point Reyes on 18 November, 2019. ©Richard James – coastodian.org

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Whales slap the surface of the sea off Point Reyes on 18 November, 2019. ©Richard James – coastodian.org

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Whales slap the surface of the sea off Point Reyes on 18 November, 2019. ©Richard James – coastodian.org

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Whales slap the surface of the sea off Point Reyes on 18 November, 2019. ©Richard James – coastodian.org

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Whales slap the surface of the sea off Point Reyes on 18 November, 2019. ©Richard James – coastodian.org

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Whales slap the surface of the sea off Point Reyes on 18 November, 2019. ©Richard James – coastodian.org

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Whales slap the surface of the sea off Point Reyes on 18 November, 2019. ©Richard James – coastodian.org

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Whales slap the surface of the sea off Point Reyes on 18 November, 2019. ©Richard James – coastodian.org

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Whales slap the surface of the sea off Point Reyes on 18 November, 2019. ©Richard James – coastodian.org

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Best Management Practices for California aquaculture – still waiting for them…

Below you will find an update on my ongoing efforts to protect Tomales Bay from the historically poor practices of shellfish growers, and a long history of virtually no oversight by the California Department of Fish & Wildlife (CDFW) and the California Fish & Game Commission (CFGC). The CFGC leases state water bottoms in California to shellfish growers. Given the shortage of suitable coastline with clean water, you’d think the CFGC would be charging a premium rent (supply and demand). You would be wrong. More on that in a future post.

If you care for Tomales Bay and want to protect it, please write the following people and tell them to implement and enforce strong Best Management Practices over shellfish growers. Tell them to fix the woefully inadequate escrow cleanup bond system. And kindly ask them to make a better effort at enforcing existing litter laws and to regularly monitor aquaculture statewide. Our state bays and estuaries are priceless treasures for ALL to enjoy.

Valerie Termini – Executive Director of California Fish & Game Commission (CFGC) – Sacramento, CA fgc@fgc.ca.gov

Susan Ashcraft – Marine Advisor to the California Fish & Game Commission (CFGC) – Sacramento, CA Susan.Ashcraft@fgc.ca.gov

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Responsibly practiced shellfish aquaculture, properly sited, adds value to life in the form of delicious shellfish, jobs and the continuation of a long tradition. Authentic stewardship is paramount to assuring this practice does no harm to the precious bays and estuaries of the ever changing (and rising) sea.

Three things I have been requesting since I set out to right numerous wrongs are:

1) Growers need to stop losing so much plastic, wood and other gear. They also need to regularly pick up the debris that they do lose. All of the legacy debris left by growers from days gone by needs to be removed from the bay.

2)      A. Best Management Practices (BMP) need to be developed and become an   enforceable part of being allowed to profit from public trust tidelands.

2)      B. The cleanup fund escrow system to address abandoned infrastructure and other damages done to a lease needs to be redone so that it is actually applied, AND is not based on cost estimates made by the growers themselves.

3) CFGC and CDFW need to actually DO their job: regular monitoring of leases, enforce existing laws, ensure growers are not diverting creeks with un-permitted structures or altering the bay-floor by dumping large quantity of oyster shells or other materials into the bay.

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Let’s look at each of these in more detail.

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1) Growers need to stop losing so much plastic, wood and other gear. They also need to regularly pick up the debris that they do lose. All of the legacy debris left by growers from days gone by needs to be removed from the bay.

This is taking place. The growers are losing less gear and making a noticeable effort to pick up that gear still getting loose.

There is still room for improvement, as bags and other culturing devices are still getting loose. But overall, a vast improvement!

Thank you growers!

Unfortunately, much of the legacy debris continues to blight the beauty of Tomales Bay. You can see what I am talking about here.

2-A Best Management Practices (BMP) need to be developed and become an   enforceable part of being allowed to profit from public trust tidelands.

On April 8, 2015 (1087 days ago and counting), a proposed list of BMP that I drafted were delivered to the CFGC at their commission meeting in Santa Rosa. The growers and numerous agencies have mulled over and massaged this list since then.

The latest revision put forth by the CFGC is very close to what I originally proposed, except it does not include that growers must mark all their gear with their name & phone number. Marking all gear is important in order to ensure growers practice authentic stewardship.

My most recent iteration of what I think are good common sense BMP are below.

 

These BMPs shall be an integral part of each lease. The practices shall be mandatory practices meant to ensure Tomales Bay and the ocean in general is kept free of lost plastic and other debris from aquaculture operations.

To have the intended effect of reducing litter in Tomales Bay attributed to aquaculture, it is imperative that these practices be adequately and regularly enforced.

Harming the environment is a criminal matter, not an administrative matter.

 

  1. Growers shall uniquely and clearly identify all of their gear with company name and phone number. Possible means of uniquely marking gear include: unique colors of bags, wires, tags, PVC pipes, rope, and “branding info into gear.”

 

  1. Growers shall train all employees in concepts of Leave No Trace, see https://LNT.org, or similar training about environmental stewardship.

 

  1. Growers shall continually improve gear and methods in a quest to lose less gear.

 

  1. Growers shall replace single use items (i.e. zip-ties, copper wires) with more durable items such as stainless halibut clips.

 

  1. Growers shall NOT use floats that are easily degraded by sunlight or pecked by birds in search of food.

 

  1. Growers shall securely tie large groups of non-floating bags together when deploying bags for future securing to anchor lines to ensure they do not drift.

 

  1. Growers shall remove all tools and materials each day after working on lease areas, including: fencepost drivers, gloves, water bottles, PVC pipes, wires, and ropes. Work barges shall be secured to ensure items are not blown into the bay.

 

  1. Growers shall NOT dump shells, lumber, bags or other debris on the bay floor to walk upon or for any reason.

 

  1. Growers shall promptly (within 90 days) remove culture structures and other items comprising a method that did not work as desired or is no longer used.

 

  1. Growers shall patrol lease areas and the shores of Tomales Bay on a monthly basis, twice monthly during windy or heavy surf times. Patrols must occur at both high and low tides to ensure gear buried in the mud is promptly collected.

 

  1. Growers shall uniquely and clearly identify all of their boats and barges. Boats should be clearly identifiable with binoculars from a distance of 1 mile. Unique color, large letter and/or number or combinations of these may work.

 

To support item 11 above, the below images show some of the boats used by various growers. Notice how many of the boats look identical. Also shown is one suggested ID method to allow distant observers to know which grower a particular boat belongs to. Also, how many of these boats are properly licensed?

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The reason for my concern centers on the damage done to the eel grass beds on or near the leases. Below are three images recorded from overhead, showing deep and permanent damage done to the eel grass by the propellers of boats accessing the lease areas.

Click on the image to enlarge it.

Click on the image to enlarge it.

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On numerous occasions I have witnessed oyster boats operating at low tides, attempting to access areas of the bay not deep enough to access without driving the prop of the boat into the bottom of the bay, destroying everything that the prop meets, like a blender, loudly throwing a tall, brown rooster-tail into the air, easily visible/audible from a mile+ away.

If boats were clearly labeled, interested stakeholders would be able to give the Commission/Department accurate information with which to hopefully take action.

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The below images show the reasoning behind item 8.

Growers shall NOT dump shells, lumber, bags or other debris on the bay floor to walk upon or for any reason.

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2-B The cleanup fund escrow system to address abandoned infrastructure needs to be redone so that it is actually applied, AND is not based on cost estimates made by the growers themselves.

The figure below (from K. Ramey files acquired via Public Records Access [PRA]) shows how much has been contributed (allegedly) by each grower. Total on account (allegedly) is $106,255.

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Click on the image to enlarge it.

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Below is an image showing part of the main contract paid by the NPS for the cleanup of aquaculture debris left by DBOC in Drakes Estero. This is not the entire sum. Beyond the $3,460,750 shown below were other substantial fees associated with the removal of oysters and clams left by DBOC.

Important to note is the self-assessed cleanup cost given to the Fish & Game Commission by DBOC for two years running: $10,000

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Click on the image to enlarge it.

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Below are images of some current leases, showing rough dimensions as well as the amount paid into the escrow fund.

These values are self-assessed cost estimates provided by the growers.

Have you ever been asked by a landlord how much of a cleaning deposit you think you ought to pay?

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3) CFGC and CDFW need to actually DO their job: regular monitoring of leases, enforce existing laws, ensure growers are not diverting creeks with un-permitted structures or altering the bay-floor by dumping large quantity of oyster shells or other materials into the bay.

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This request needs no further support.

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The slide seen below was created by the State Aquaculture Coordinator.
The yellow text I have highlighted reads: “Emphasize CA’s strict environmental standards as advantage”

How can one have an advantage based on strict standards if the laws those standards are based on are not enforced?

Please enforce current laws!

Click image to enlarge it.

If you care for Tomales Bay and want to protect it, please write the following people and tell them to implement and enforce strong Best Management Practices over shellfish growers. Tell them to fix the woefully inadequate escrow cleanup bond system. And kindly ask them to make a better effort at enforcing existing litter laws and to regularly monitor aquaculture statewide. Our state bays and estuaries are priceless treasures for ALL to enjoy.

Valerie Termini – Executive Director of California Fish & Game Commission (CFGC) – Sacramento, CA fgc@fgc.ca.gov

Susan Ashcraft – Marine Advisor to the California Fish & Game Commission (CFGC) – Sacramento, CA Susan.Ashcraft@fgc.ca.gov

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Best Management Practices (BMP) meeting audio, DFW presentation and audience comments

Click on the words above “Best Management Practices (BMP) meeting audio…” to see this entire post.

On 17 July, 2017 at the Marconi Conference Center in Marshall California, over 75 people from all aspects of shellfish aquaculture, including local and non-local residents attended. The announcement for this meeting may be found here.

Below are several audio files that I recorded that include the entire meeting, excluding some transition noise between speakers as well as some audio at the end when the entire room erupted in conversation.

I apologize for the audio quality, though I think you will be able to hear most everyone. Possibly some quiet audience members in the back of the room may be hard to hear. Use of headphones will help.

Below the audio files you’ll find the presentation given by Kirsten Ramey from the California Department of Fish and Wildlife.

You’ll also find images of the audience comments taken by Randy Lovell and Susan Ashcraft, as well as these same notes transcribed to an MS Word file.

These presentation and notes files were sent to me by the meeting moderator, Heather Benko, Sea Grant Fellow.

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Introductions – Heather Benko – 12:19 minutes

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Randy Lovell – 17:32 minutes

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Susan Ashcraft – 21:04 minutes

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Kirsten Ramey – 12:27 minutes

Kirsten’s presentation is here.

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Audience input part 1 – 42:19 minutes

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Audience input part 2 – 43:59 minutes

Audience comments recorded by Randy Lovell here.

Audience comments recorded by Susan Ashcraft here.

Both sets of notes transcribed to text file here.
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Best Management Practices (BMP) Meeting change of venue, agenda available

All,

A larger room was need to accommodate the growing audience.

New room is named Buck Hall.

Everything else is the same

We also received an agenda today for the meeting on Monday.

Click the blue text for agenda, on window that pops up, click on document to see it.
REVISED Agenda-Map-Bckgrnd BMP stakeholder mtg (17Jul2017 Room change)

New Application to cultivate Shellfish in Tomales Bay

Click on the words above “New Application to cultivate Shellfish in Tomales Bay” to see this entire post.

On Thursday February 9th at a regular meeting of the California Fish & Game Commission (CFGC) in Rohnert Park, the CFGC received an application from Robert Brodsky and his company, San Andreas Shellfish. The application is to lease, from the public trust, approximately 45 acres of state water bottoms for the cultivation of shellfish within Tomales Bay. The application may be viewed here.

Below you can see one of the maps from the application that shows the area the application wishes to lease in bright yellow, superimposed upon a photograph of the area from above.

To see a larger version, click the image, on new page click the “1981×1180” above image and below the word donate

The general area up for consideration in the lease is the eastern portion of the bay between Tom’s Point and Lawson’s Landing.

The species which Mr. Brodsky would like to be able to cultivate are: Pacific Oyster, Atlantic Oyster, Kumamoto Oyster, Mediterranean Mussels, Goeduck Clam and Purple Hinged Scallop.

If granted, the lease could be a maximum of 25 years, per Fish and Game Code 15405.

Before a lease is granted, the following must occur:

1 The CFGC will refer the application to the California Department of Fish & Wildlife (CDFW). CDFW will evaluate the application and make a recommendation on whether or not the proposed activities are in the public interest (per Fish and Game Code 15404)

Once the evaluation is complete, the CDFW will provide a recommendation to the Commission.

2 CFGC will place the item on the agenda of the next CFGC meeting. The public will be able to comment on the item at this time regarding public interest.

If the CFGC determines that the area applied for is available for lease and that the lease would be in the public interest, CFGC shall publish a notice that the area is being considered for leasing. No aquaculture lease for state water bottoms will be approved until the Commission has held a public hearing at least 90 days after notice thereof has been published in a newspaper of general circulation within the county involved.

In addition, California requires state and local agencies to perform environmental impact analyses when granting permits. Potential environmental impacts are addressed primarily through the California Environmental Quality Act (CEQA) review of the proposed facility. Although not a permit, CEQA compliance is mandatory for state, local, and other agencies subject to the jurisdiction of California to evaluate the environmental implications of their actions.

After the CEQA process is complete, the CFGC will again:
3 Place the item on the agenda of a CFGC meeting where the Public may comment on the CEQA evaluation and final approval of the lease.

At this time, the CFGC will make a decision on whether to certify the CEQA document and whether to approve the lease.

Should a lease be approved, the applicant will also need a variety of permits and other authorizations, including from the Coastal Commission and U.S. Army Corps of Engineers.

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Read the next related post on this topic here.