Charter operators simply provide access and advice for halibut sport fishers.
They do not catch fish. Put into basic words, if rules and regulations are
needed for the
sport/recreational halibut fishery, they should be applied uniformly across the
entire sector...not to a portion of it. Applying stringent rules and
regulations to one part of a sector just entices those affected to come up with
ways to be defined in a less regulated part of that sector (bare boat charters,
not registering as guides or charters, fishing for other species and
"incidentally" catching halibut, etc., etc.). I believe this makes enforcement
extremely difficult and costly...and just encourages innovative ways of "getting
around the rules and regulations", thus defeating the implementation of the
rules and regulations themselves.
As for apportionment of the resource, there is a basic flaw in the present
system. This ripples downstream and creates problems such as the proposed "one
fish limit" in 2C. Again, simply put, the problem is that the present
allocation system is rigid and basically unable to adjust allocation numbers to
different sectors as demand rises and falls. Instead, reference in the halibut
sport fishery is to a GHL that is woefully out of date and based on facts from
years ago that have changed. The net result is that there is an increased
demand for the resource
and a higher economic impact from that resource.
Comment from David Goldstein, PWS Eco-Charters
This is comment on Proposed Rule
Pacific Halibut Fisheries; Guided Sport Charter Vessel Fishery for Halibut
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