Comment from Olga Zaric

Document ID: NOAA-NMFS-2011-0042-0007
Document Type: Public Submission
Agency: National Oceanic And Atmospheric Administration
Received Date: October 11 2011, at 12:00 AM Eastern Daylight Time
Date Posted: October 11 2011, at 12:00 AM Eastern Standard Time
Comment Start Date: July 18 2011, at 12:00 AM Eastern Standard Time
Comment Due Date: October 17 2011, at 11:59 PM Eastern Standard Time
Tracking Number: 80f504de
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Dear Regulatory Branch Chief, I am writing to strongly support expanded protections for Hawaiian false killer whales in the Proposed False Killer Whale Take Reduction Plan (RIN 0648–BA30). Specifically, I support immediate implementation of the proposed rule, including a year-round closure of the tuna longline fishery in essential habitat for the Hawaiian insular false killer whale, and the proposed Southern Exclusion Zone. I am concerned that the determination to close the Southern Exclusion Zone is not based on the most transparent and conservative estimate of Potential Biological Removal (PBR) of false killer whales, and I support the final rule be modified to ensure that PBR is never exceeded. Fisheries other than Hawaiian deepset tuna longlines seriously injure and kill imperiled false killer whales, though currently at lower levels than the tuna fishery. Observed interactions from all fisheries in the whale's habitat must be included in the final management plan and PBR calculation. I recommend that the triggers for closing the Southern Exclusion Zone be implemented based on the cumulative total interactions of all fisheries. The impacts of shallowset longline, short-line, and kaka-line fishing gear types are of greatest concern. We support “weak hook” requirements, and request additional research to determine if “weaker” and smaller hooks can be required in the future to better protect these whales. To ensure recovery of False Killer Whales, we also recommend: • more research to identify additional fishing areas for closure; • reduced deepset longline fishing effort; • further research to validate and improve the effectiveness of “weak” circle hooks; and • immediate implementation. Thank you for the opportunity to comment in support and for the need to improve the Proposed False Killer Whale Take Reduction Plan. Sincerely, Olga Zaric Montreal

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