Puget Sound Harvesters Ass'n v. Department of Fish & Wildlife

332 P.3d 1046, 182 Wash. App. 857
CourtCourt of Appeals of Washington
DecidedAugust 11, 2014
DocketNo. 71362-1-I
StatusPublished
Cited by3 cases

This text of 332 P.3d 1046 (Puget Sound Harvesters Ass'n v. Department of Fish & Wildlife) is published on Counsel Stack Legal Research, covering Court of Appeals of Washington primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Puget Sound Harvesters Ass'n v. Department of Fish & Wildlife, 332 P.3d 1046, 182 Wash. App. 857 (Wash. Ct. App. 2014).

Opinion

Lau, J.

¶1 The Puget Sound Harvesters Association (PSHA), an industry group representing nontreaty commercial salmon gill net fishers, appeals the trial court’s dismissal of its petition seeking to invalidate two administrative rules adopted by the Washington Department of Fish and Wildlife (WDFW) regulating nontreaty commercial chum salmon fishing in South Puget Sound for the 2012 season. PSHA argues that the 2012 rules violate constitutional principles of equal protection and are arbitrary and capricious. Because there is no constitutional or statutory right to equal catch shares among gear groups and the record supports WDFW’s determination that the 2012 rules satisfy its statutory obligations and management objectives, we affirm.

FACTS

¶2 WDFW is responsible for managing numerous species of salmon across the state. The agency regulates commercial salmon fishing in Puget Sound by gear type and geographic area. This case concerns the chum salmon fishery in areas 10 and 11 in South Puget Sound. The two major gear types used for commercial chum salmon fishing in South Puget Sound are gill nets and purse seines. Purse seiners have larger boats and utilize gear that is capable of catching significantly more fish per hour than gill-netters.

[861]*861¶3 WDFW annually adopts recreational and commercial salmon fishing schedules following a series of meetings with the State, the federal government, tribal fishery managers, industry representatives, and other stakeholders in a public planning process known as “North of Falcon.” Admin. Record (AR) at 3661. The process begins with a preseason salmon run forecast. From this forecast, the treaty tribes and WDFW agree on an allocation of salmon between treaty and nontreaty fishers. Based on this allocation and input from participants in the North of Falcon process, WDFW establishes annual fishing schedules for both tribal-managed and state-managed fisheries. WDFW allocates commercial salmon harvest opportunity for each gear group based on time spent on the water, not on any guaranteed percentage of catch outcome for each group. Nevertheless, fishing opportunity significantly influences catch outcome.

¶4 Following the 2012 North of Falcon process, WDFW adopted rules to address commercial salmon harvest in Puget Sound. The 2012 chum fishing schedule in South Puget Sound was similar to schedules implemented each year since 2008. Under RCW 34.05.325(6)(a), WDFW issued a concise explanatory statement detailing the agency’s reasons for adopting the 2012 rules.

¶5 WDFW explained that the 2012 rules were developed with respect to the following management objectives, listed in order of priority:

1. Achieve conservation objectives for all species and stocks
a. Ensure primary stocks meet escapement goals
b. Minimize by-catch of all non-target species
c. Monitor fisheries to ensure a & b are met
2. Harvest the non-treaty share of salmon
3. Maintain the economic well-being and stability of the fishing industry (RCW 77.04.012); allow a sustainable level of harvest sufficient to provide opportunity for each gear type (RCW 77.50.120).

[862]*862AR at 3663. The concise explanatory statement paid particular attention to objectives 1(b) and 3, presumably because these are the most controversial.

¶6 As to objective 1(b), WDFW explained, “Since bycatch mortalities vary by fishing method, the objective of minimizing bycatch requires WDFW to apply different rules to the different gear types.”1 AR at 3663. Based on scientific studies indicating that the majority of Chinook and coho salmon captured in purse seine gear will survive if returned to the water, WDFW concluded that bycatch mortality can be minimized by requiring that purse seine fishers release nontarget salmon. In contrast, because studies demonstrated a significantly higher mortality rate for nontarget salmon captured by gill nets, WDFW prohibits gill net fishers from discarding nontarget salmon bycatch. Because fewer scientific studies have been conducted on mortality rates for nontarget salmon captured by gill net gear, WDFW expressed concern that “ [t]his lack of data presents a situation of considerable risk that the bycatch minimization objective [for gill-netters] may not currently be achieved.” AR at 3664.

¶7 WDFW further explained that conservation concerns about bycatch of other species, such as rockfish, spiny dogfish, oreas, sea lions, and marbled murrelets, are increasing. WDFW noted that recent data indicate a low bycatch rate for purse seines. But further data collection is necessary to increase confidence that gill net bycatch mortalities are minimized. WDFW expressed particular concern over the impact of gill nets on seabirds and marine mammals. Because the existing data regarding gill net bycatch mortality on nonsalmon species is insufficient to verify that bycatch is being minimized, “WDFW is reluctant to provide significant additional or expanded fishing opportunities for gillnet gear .. ..” AR at 3665. WDFW indicated [863]*863that future fishing opportunities, especially for gill-netters, will depend on improved sampling and monitoring programs to accurately assess bycatch impacts.

¶8 As to objective 3, WDFW noted that the economic health and stability of the fishing industry depends on many factors beyond its control, such as the price, abundance, and size of salmon; the proportion of license holders who choose to participate; and the catch rates of those who do participate. WDFW’s ability to maintain or increase fishing opportunity for nontreaty commercial fishers is further limited by the outcome of negotiation with the treaty tribes. The single factor that WDFW does control is fishing opportunity for each gear type.

¶9 WDFW concluded, therefore, that “the most effective means of positively affecting the well-being and stability of the industry is by providing a predictable season structure designed to access the full allowable harvest.” AR at 3668. To assess the stability and well-being of the gill net and purse seine chum salmon commercial fishery in South Puget Sound, WDFW assembled and analyzed catch data, ex-vessel landing value,2 and the number of licensed vessels by gear type in areas 10, 11, and 12 during the period from 1973 to 2011.3

¶10 To compare historical averages with current averages, WDFW compared the period from 1973 to 2002 (when WDFW allocated equal fishing time to gill-netters and purse seiners) to the period from 2008 to 2011 (when WDFW allocated a consistent amount of extra time to gill-netters).4 This method of analysis allowed WDFW to [864]*864account for the shift in fishing opportunity when comparing historical and current averages. Ex-vessel landing values were adjusted according to the consumer price index to allow for comparison of economic data between years.

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Bluebook (online)
332 P.3d 1046, 182 Wash. App. 857, Counsel Stack Legal Research, https://law.counselstack.com/opinion/puget-sound-harvesters-assn-v-department-of-fish-wildlife-washctapp-2014.