| AQUACULTURE - PAST
CAMPAIGN, CONTINUING ISSUE
Net cage fish farming is an on-going issue that the Society continues to
monitor. Though the situation has currently improved, in
1997 the issue became a priority with the NCPS as it was learned that effluent
from these operations was having an impact on local waters.
These are some samples of correspondance
that Society members directed at various levels of Government when the
campaign was in progress in the late 1990's.
Aquaculture
in the North Channel
There are now 8 commercial
netcage fish farming operations in the North Channel and adjacent waters located
on and around Manitoulin Island. The fish are raised in nets which permit their
feces and other detritus to fall directly into the water. This direct dumping
of sewage is not permitted in any other industry. The Birch Island
Community Association (BICA) first addressed this issue in an August 27, 1997
letter and enclosed petition to the Ministries of Natural Resources and Environment.
This letter expressed our concern and recommended action by the MNR and MOE to
ensure that water quality in the Bay of Islands would not be permitted to decline
as a result of commercial net cage fish farming. BICA received a letter in response,
dated October 14, 1997, from Marilyn Fesnak, Acting Director, Northern Region.
Ms. Fesnaks letter noted the Ministries intention to improve the monitoring
of cage culture facilities. BICAs concerns were clearly justified
as the MNR was shortly after forced to take prompt action in ordering Cold Water
Fisheries to shut down its operation at its La Cloche Channel site. It is of serious
concern that such a small operation created serious pollution covering about
350 hectares around the site, according to the December 22 issue of the
Manitoulin Expositor. (This is an area equivalent to about 1 mile by 1 mile.) With
regard to the incident at the La Cloche Channel site, it is important to note
the following: · based on extensive well documented experience
elsewhere, this pollution was inevitable and predictable · it is likely
that provincial law was breached since adequate precautions were not taken to
prevent pollution, yet no one is being charged · those most knowledgeable
about the operation at the La Cloche Channel site were not able to foresee that
such serious pollution would occur in such a short time; therefore, assurances
that water quality is not being impacted at the other sites lack credibility
· the monitoring, and the enforcement of the stipulated monitoring, did
not provide advance warning of such serious damage to the environment in the area;
therefore, the present sampling programs, at this and at the other sites, are
inadequate Regarding the other sites, some research which we have done
leads to the following comments about net cage aquaculture in the North Channel:
· pollution is very likely occurring at the other locations and will inevitably
become widespread as a result of algae growth and transport · it is
very difficult to predict when extensive pollution will occur, but the longer
that it takes for visual evidence of algae blooms to occur, the worse the problem
is likely to be and, of course, the longer for remediation · the accumulation
of biomass, which is occurring at and near the net cage sites, is producing a
massive source of nutrients which will result in persisting pollution long after
the operations have stopped · the monitoring of water quality that
is currently required by the MNR does not provide an adequate safeguard against
significant deterioration of water quality Furthermore, net cage aquaculture
is inappropriate in the North Channel because there is no control of the discharge
of pollutants. These operations are polluting. No reasonable person can claim
that they are not, particularly after the experience in the La Cloche Channel.
The Department of Fisheries and Oceans, who have ultimate responsibility for water
in this area, call for a Pollution Prevention approach in their recent publication
on sustainable development. This means preventing pollution and excessive waste,
rather than reacting to its consequences. A related reason that net cage
aquaculture is not acceptable in the North Channel is that cost effective, pollution
prevention technology is available, and is well proven. This is the production
of marketable fish in tanks where the outflow water and solid detritus exit through
an overflow pipe into a settling tank. The solids settle out and the overflow
water is further treated, if necessary. The water can be recycled or discharged
to the environment. Normally, the discharge water must meet background quality.
The additional costs can be offset by better yield and many more years of operation.
Of course, the benefits to the environment are enormous. Considering
all of the above, BICA recommends the following for the North Channel: ·
MNR should ban further expansion of the existing net cage operations ·
no additional net cage aquaculture sites should be approved ·
the existing net cage operations should be required to convert to closed tank
systems within 5 years from this date; any discharge to the environment from the
tank operations should be no worse than background water quality ·
any new fish farming operations, at any time in the future, should be done in
tanks, with full treatment of the discharge · even for tank operations,
no additional sites should be approved until a detailed scientific study has determined
the capacity of the North Channel to accommodate additional commercial fish farming
operations without any degradation to water quality · as a condition
of operation, current net cage operators should be ordered to do more intensive
sampling in close proximity to all of their net cages; this should include an
annual program similar to that done last fall at the La Cloche Channel site The
damage that has already been done to this world renown recreational area, and
very bad experience elsewhere, shows that quick action should be taken on our
recommendations. Correspondence from the Bay
of Islands Community Association to the Ontario Government
Honourable John C. Snobolen
Minister of Natural Resources Honourable Norman W. Sterling Minister
of Environment Dear Ministers: Fish Aquaculture
Operations - North Channel of Lake Huron & Adjacent Waters This
letter is further to: -our August 27, 1997 letter and enclosed petition which
expressed our concern about the predictable negative impact of net cage fish farming
on water quality, and -our February 4, 1998 letter which included recommendations
for minimizing such impacts and is in response to the following communications
to us: -the Hon. John C. Snobolens letter of March 12, 1998 -the
Hon. Norman W. Sterlings letter of March 26, 1998 We very much appreciate
your communications which indicate the sincerity your efforts to prevent pollution
from the fish farming in our area. We look forward to reviewing and commenting
on the discussion paper which is being prepared by the Ministry of Natural Resources. Our
primary interest is in preventing deterioration of the quality of the water in
the Bay of Islands where we live and contribute to the local economy. We are all
taxpayers. For these reasons, and because some of our members have relevant technical
and professional experience, we believe that we have some salient points to make.
Some of these are described in our earlier correspondence. Additional opinions
and facts are offered herein, as follows. We do not agree with the statement
by the Hon. Norman W. Sterling that every site has some assimilative capacity.
The extensive literature on the subject shows that the vast majority of net cage
operations destroys the fish habitat and other life in their immediate vicinity,
and in most cases this destruction extends well beyond the close proximity of
the cages. Since this occurs shortly after the start up of a net cage, it is clear
that there is virtually no assimilative capacity for net cage discharges. Worse,
the net cages simply discharge all their sewage onto the lake bed and this pile
of detruis just keeps on growing and growing until oxygen depletion and algae
growth is so extensive that it is visible to the public. These discharges are
substantial; a single operation generates sewage similar in quantity to a town
of several thousand people. The nature of the sewage might differ, but its impact
on algae growth is the same. The longer that it takes for the impact to
be detected, the worse the problem. In other words, the false optimism that occurs
when water quality does not appear to deteriorate during the first several years
of operation, simply masks the inevitable, eventual occurrence of a major catastrophe. The
concept of assimilative capacity is only relevant to point source discharges of
effluents which have already been treated to reduce pollutants to levels which
are thought to be harmless. Such a discharge passes through a mixing zone where
the receiving water rapidly dilutes the effluent so there is no perceptible increase
in the concentration of the polluting substance in the receiving water. The quality
of water in the mixing zone must not be harmful to fish. The residents of
the Bay of Islands are very concerned about the economy of the area. We know that
prosperity and employment is in everyones interest, and we know that this
can only be achieved by sustainable development. Net cage operations are not sustainable,
as shown by experience elsewhere. Most have to shut down after a time. Moreover,
they are less economical than fish farming in tanks. They require much more extensive
monitoring, and have a negative impact on other income activities. On another
point, you are well aware that the Government of Canada has ultimate jurisdiction
for water quality in the North Channel. The regulations of the Department of Fisheries
and Oceans apply, although we understand that monitoring and enforcement have
been delegated to the Government of Ontario. We would like to draw your attention
to Sections 35 (1) and 40 (1) of the Federal Fisheries Act. Section 35 (1)
states that No person shall carry on any work or undertaking that results
in the harmful alteration, disruption or destruction of fish habitat.. Section
40 (1) states that Every person who contravenes subsection 35 (1) is guilty
of (a) an offence punishable on summary conviction and liable, for a first
offence, to a fine not exceeding three hundred thousand dollars and, for any subsequent
offence, to a fine not exceeding three hundred thousand dollars or to imprisonment
for a term not exceeding six months, or both; or (b) an indictable offence
and liable, for a first offence, to a fine not exceeding one million dollars or
to imprisonment for a term not exceeding three years, or to both.. Clearly,
these parts of the Fisheries Act are relevant to the destruction of fish habitat
in the La Cloche Shipping Channel, as proven by the Ministry of the Environment
in 1997. It is our opinion that the other sites in the North Channel and adjacent
waters are also subject to this Act, and punishable for the destruction of fish
habitat, at least in the immediate vicinity of the net cages. In summary,
we believe that netcage aquaculture poses a serious threat to the quality of water
in the North Channel, and directly contravenes the intent of the federal Fisheries
Act. We therefore request that the Government of Ontario provide netcage operators
the incentive to convert to a sustainable mode of operation- that is, fish farming
in tanks with treatment of the effluent. Weldon Thoburn P.Eng., Ph.D.
Chairman, Water Quality Committee Director, BICA
| NORTH
CHANNEL PRESERVATION SOCIETY | | |
| |
| |
| |
|