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Royal Forest and Bird Protection Society NZ Inc Contact: Nick Beveridge Ph. 302 3901 [email protected] 15 March, 2013 SUBMISSION on the DRAFT AUCKLAND CONSERVATION MANAGEMENT STRATEGY 2014 - 2024 by the Royal Forest and Bird Protection Society of New Zealand Inc (Forest and Bird). Table of Contents INTRODUCTION ................................................................................................................... 3 Structure of this submission ................................................................................................ 3 Structure of the CMSes ....................................................................................................... 3 Formatting ........................................................................................................................... 3 Index and References .......................................................................................................... 4 LEGISLATIVE AND POLICY RESPONSIBILITIES OF THE DEPARTMENT OF CONSERVATION4 Conservation Act ................................................................................................................. 4 Wildlife Act .......................................................................................................................... 4 Integrated Conservation Management ............................................................................... 5 Conservation General Policy 2005 ...................................................................................... 5 Consistency with General Policy ......................................................................................... 5 Use of Words Will, Shall or May .......................................................................................... 6 Purpose................................................................................................................................ 6 Relationship with Other DoC Strategies .............................................................................. 6 Legislative Tools .................................................................................................................. 8 International ObligatIons .................................................................................................... 8 Treaty of Waitangi ............................................................................................................... 8 OBJECTIVES.........................................................................................................................9 Outcomes ............................................................................................................................ 9 Milestones ......................................................................................................................... 10 Forest and Bird Submission – Draft Northland Conservation Management Strategy 2 CONSERVATION OF NATURAL RESOURCES……………………………………………………………….…10 Reclassification of Land ..................................................................................................... 13 Freshwater......................................................................................................................... 13 Biodiversity Threats ........................................................................................................... 14 Fire ..................................................................................................................................... 15 Biosecurity ......................................................................................................................... 15 Climate Change.................................................................................................................. 15 MARINE ............................................................................................................................. 17 Marine Reserves ................................................................................................................ 17 Marine Mammals………………………………………………………………………………………………………….18 Marine Farming ................................................................................................................. 19 LANDSCAPES AND SIGNIFICANT GEOLOGICAL FEATURES AND LANDFORMS ................ 19 Ecosystem Services............................................................................................................ 20 STATUTORY ADVOCACY ................................................................................................... 20 PEOPLES BENEFIT AND ENJOYMENT ................................................................................ 22 Vehicles.............................................................................................................................. 25 Aircraft ............................................................................................................................... 26 Hunting .............................................................................................................................. 28 Dogs ................................................................................................................................... 29 Other Animals.................................................................................................................... 29 Sports Fish and Game Birds ............................................................................................... 29 USE OF CONSERVATION LAND - AUTHORISATIONS ........................................................ 29 Private Accommodation .................................................................................................... 30 Sand and Shingle ............................................................................................................... 30 Collection of Materials ...................................................................................................... 30 Filming ............................................................................................................................... 30 APPENDICES ...................................................................................................................... 30 MAPS ................................................................................................................................. 31 SECTION TWO - AUCKLAND SPECIFIC ............................................................................... 32 Forest and Bird Submission – Draft Northland Conservation Management Strategy 2 3 Introduction The following submission is made on behalf of the Royal Forest & Bird Protection Society Incorporated (the Society), including Forest and Bird branches within the Auckland Conservancy Area. Forest and Bird was founded in 1923 and is New Zealand’s leading volunteer conservation organisation. Forest and Bird has around 70,000 members and supporters nationwide. Forest and Bird’s purpose is “To take all reasonable steps…for the preservation and protection of the indigenous flora and fauna and natural features of New Zealand, for the benefit of the public including future generations.” The Society is very pleased that the first of the new CMSes have finally been notified, and has found it useful, although testing of resources, that three have been released together, as this has enabled an assessment of slightly different provisions. Structure of this submission This submission first addresses generic issues that apply to all Conservation Management Strategies, with reference to the Auckland CMS, and discusses some of the key legislative responsibilities of the Department and relates them to broad areas of subject matter e.g. indigenous biodiversity, visitors and commercial uses. This material includes the contents of parts 1 and 3. The submission then discusses the detailed content of the Auckland CMS including the Places which are addressed at the end of the submission. Structure of the CMSes The structure of having broad objectives only in Part 1 and policies in parts 2 and 3 makes it difficult to follow a logic of issue-objective-policy and becomes repetitive of subject matter e.g. biodiversity, people’s enjoyment and use of conservation resources are mixed up in Part 3. Topics such as fire, biosecurity generally and climate change should all be specifically addressed. Under the current structure, they would be placed in Part 3 but for the purposes of this submission, they are discussed under the headings of Conservation of Natural Resources, People’s Enjoyment and Use of Conservation Resources (see below) are also addressed. Where the structure and policies in different CMSes are identical, they should be numbered that way e.g. Appendices. Key recreation destinations are Appendix 10 in Auckland and Northland but in Waikato it is Appendix 12. Where a conservancy has specific appendices e.g. Hauraki Gulf Act, Treaty Settlements, these appendices should follow the common appendices. Formatting All sections of the CMSes should be enumerated e.g the Objectives in Chapter 1 should be headed 1.4 Objectives, 1.5 Objectives etc. Each Objective should also be numbered to avoid the laborious counting of bullet points. Forest and Bird Submission – Draft Northland Conservation Management Strategy 3 4 Each section should also be numbered e.g 1.5.1 The diversity of our natural heritage is maintained and restored. Decision Sought Enumerate all sections of the CMS. Index and References The Society is surprised that there is no indexing, references or bibliography for any of the notified CMSes. This is a serious omission which makes these documents less useful, especially as issues are addressed in numerous Place sections, as well as general ones. Since their inception, CMSes have been an important reference document in all regions. The inclusion of national priority approaches without reference to any background papers is also disturbing. Decision Sought Include an Index and References LEGISLATIVE AND POLICY RESPONSIBILITIES OF THE DEPARTMENT OF CONSERVATION Conservation Act “Conservation” is defined as “the preservation and protection of natural and historic resources for the purpose of maintaining their intrinsic values, providing for their appreciation and recreational enjoyment by the public, and safeguarding the options of future generations (section 2, Conservation Act 1987). Functions of the Department in Section 6 of the Conservation Act 1987 (the Act) are: (a) To manage for conservation purposes, all land, and all other natural and historic resources1, for the time being held under this Act, and all other land and natural and historic resources whose owner agrees with the Minister that they should be managed by the Department: (ab) To preserve so far as is practicable all indigenous freshwater fisheries, and protect recreational freshwater fisheries and freshwater fish habitats: (b) To advocate the conservation of natural and historic resources generally: (e) To the extent that the use of any natural or historic resource for recreation or tourism is not inconsistent with its conservation, to foster the use of natural and historic resources for recreation, and to allow their use for tourism: Wildlife Act Section 3 Wildlife to be protected states: “Subject to the provisions of this Act, all wildlife is hereby declared to be subject to this Act and (except in the case of wildlife for the time being specified in Schedule 1, Schedule 2, Schedule 3, Schedule 4, or Schedule 5 hereto) to be absolutely protected throughout New Zealand and New Zealand fisheries water”. 1 The author has made text on this page bold and underlined for emphasis Forest and Bird Submission – Draft Northland Conservation Management Strategy 4 5 The Society considers that currently parts of the draft CMS do not meet some of these legislative and policy responsibilities. Some parts of the CMS seem to have overlooked the primary purpose of the Department to conserve indigenous species and habitats on public conservation lands and waters. The Department’s functions do not include promoting economic growth. Integrated Conservation Management The purpose of a CMS is to implement General Policies and achieve integrated management. Section17 D of the Act states: “the purpose of a conservation management strategy is to implement general policies and establish objectives for the integrated management of natural and historic resources, including any species, managed by the Department under the Wildlife Act 1953, the Marine Reserves Act 1971, the Reserves Act 1977, the Wild Animal Control Act 1977, the Marine Mammals Protection Act 1978, the National Parks Act 1980, the New Zealand Walkways Act 1990, the Hauraki Gulf Marine Park Act 2000 or this Act, or any of them, and for recreation, tourism, and other conservation purposes”. Conservation General Policy 2005 Section 13 (a) of Conservation General Policy 2005 states: “ Conservation management strategies and plans should include identification of: i. natural resources, historical and cultural heritage, and recreational opportunities, at specific places on land and water; ii. planned outcomes, objectives and policies for specific places2, consistent with the purposes for which the public conservation lands and waters are held; iii. potential conflicts between planned outcomes at specific places and explanation of how these will be resolved; iv. the adverse effects (including cumulative effects) of different uses and explanation of how these effects will be minimised; and v. objectives for departmental advocacy relating to conservation outside public conservation lands and waters; and should also have regard to: vi. relevant territorial authority statutory planning documents; and vii. integrated management of places to achieve national conservation outcomes, and to coordinate planning between places covered by other conservation management strategies and plans”. Consistency with General Policy There are many areas where the draft CMS does not comply with General Policy which are detailed in this submission including statutory advocacy, fire, landscapes, ecosystem services, vehicles and many other areas. Of particular concern are: 13(a) (iii) potential conflicts between outcomes at specific places and an explanation of how these will be resolved, especially in relation to disturbance of threatened shorebirds by people, vehicles and dogs. 2 The author has made text on this page bold and underlined for emphasis Forest and Bird Submission – Draft Northland Conservation Management Strategy 5 6 13(a) (iv) adverse effects (including cumulative effects) of different uses and explanation of how these effects will be minimised, both of which are specific to Places but also applies particularly to aircraft. Use of the words ‘will’, ‘should’ and ‘may’ Inclusion of the following descriptor of the words “will”, “should” and “may”, found on p14 of the CGP, should be included in the CMS as otherwise the reasoning behind the choice of verb is likely to confuse. They read as follows: The words ‘will’, ‘should’ and ‘may’ have the following meanings: i. Policies where legislation provides no discretion for decision making or a deliberate decision has been made by the Minister to direct decision-makers, state that a particular action or actions ‘will’ be undertaken. ii. Policies that carry with them a strong expectation of outcome without diminishing the constitutional role of the Minister and other decision-makers, state that a particular action or actions ‘should’ be undertaken. iii. Policies intended to allow flexibility in decision-making, state that a particular action or actions ‘may’ be undertaken. Decision Sought Include the aforementioned descriptor in the CMS. Purpose of the CMS This section should make explicit: the role of the Conservation Board and the New Zealand Conservation Authority in approving the draft CMS. the role of the CMS in guiding management actions as well as decision-making. Decisions Sought Amend the 4th bullet on p4 to read ‘Policies describe the course of action or guiding principles to be used for conservation management and decision-making”. On p4 following the sentence “Each CMS is prepared…” insert a description of the role of Conservation Boards including monitoring of the CMS and the role of the New Zealand Conservation Authority as decision-maker in approving the CMS. Relationship with other Department of Conservation strategic documents and tools The CMS has been closely shaped around the Statement of Intent 2012-17 (SOI). There are several problems with this approach: The SOI has only a 5 year life span and could very quickly become out of date. A CMS is supposed to have a life of ten years, but recent history has resulted in documents being extended for many more years and there is no reason to assume this will not change in future. Forest and Bird Submission – Draft Northland Conservation Management Strategy 6 7 The SOI is politically driven. Not all of the SOI is supported in conservation legislation, specially the Intermediate Outcome: “More business opportunities delivering increased economic prosperity and conservation gain” has no mandate in legislation despite its political popularity. There is some legislative support for business involvement in conservation under the Outcome “More people engage with conservation and value its benefits.” There is no mention of the link between the outcomes in Section 1.5 and the SOI. The draft CMS includes a policy “To increase net revenue flows available for achieving conservation”. This policy should be deleted. The draft CMS also includes text about the industries in their regions, some of which is entirely irrelevant and inappropriate. This section of the CMS should focus on s 6(e) of the Conservation Act “To the extent that use of any natural or historic resource for recreation or tourism is not inconsistent with conservation, to foster the use of natural and historic resources for recreation and to allow their use for tourism”. “More business opportunities delivering increased economic prosperity and conservation gain” should be deleted and replaced with “Visitor industry and other commercial uses” or similar and new policies that require conservation gains to be an outcome of any commercial use. Decisions Sought Delete the Intermediate Outcome: “More business opportunities delivering increased economic prosperity and conservation gain”. Delete policies that relate to national departmental processes or revenue gathering such as Policy 1.5.5.6 “Continue to work with other relevant agencies to streamline and seeking efficiencies in statutory processes”. Reconfigure the section based on “More business opportunities delivering increased economic prosperity and conservation gain” which has no legislative mandate, to be oriented instead to implications of business activities on public conservation land such as ensuring positive conservation outcomes and appropriate activities consistent with General Policy. Remove excessive and irrelevant text relating to the regional economies e.g. Auckland is the major economic centre of New Zealand and there is significant potential to increase the level of engagement and investment by business in conservation in Auckland. The Department will seek to identify and promote new business opportunities and partnerships that deliver conservation gains. The significance of the world class Hauraki Gulf Marine Park is recognised in the Auckland Visitor Plan13 as one of the key opportunities to increase visitors, including the sustainable development of Gulf island tourism. The potential to engage in conservation partnerships increasingly makes sense for business, as it can significantly improve business worth, value and brand/reputation, while helping to conserve natural and cultural heritage values. Forest and Bird Submission – Draft Northland Conservation Management Strategy 7 8 Legislative Tools - Closure of Areas Use of these tools is supported. However for avoidance of doubt, the section on p6 should be cross-referenced to an operative provision which implements it. Decision Sought Cross-reference the section on p6 to the Policy 3.1.4 International obligations There should be an explanation either in this section or the relevant Place (2.15) of any international commitments including RAMSAR and how they are being met to achieve Integrated management. 1.4 Treaty of Waitangi It is acknowledged that this section will be strongly influenced by the nature of Treaty Settlements, but some generic statements should be consistent e.g. for Auckland it is stated: “The Department will provide for iwi involvement in kaitiakitanga irrespective of whether they have settled their grievances or not.” Such intentions should be nationally consistent. Objective 1.4 Bullet 8 should be qualified similarly to 1.4 Bullets 4 and 6 i.e. consistent with legislation, purpose for which the land is held, General Policy and Treaty Settlements. Decisions Sought Standardise nationally the general text in Section 1.4. Include an overview of the mechanisms that will be operating in the conservancy Update the text prior to publication to include any settlement made in the intervening submissions and deliberation process. Amend 1.4 Bullet 8 to read “Work with tangata whenua to establish formal protocols to enable the customary use of traditional materials and indigenous species consistent with kaitiakitanga, the relevant legislation including Treaty Settlements, regulations, general policies and the purposes for which the land is held”. Forest and Bird Submission – Draft Northland Conservation Management Strategy 8 9 1.5 OBJECTIVES The vague ‘Contribute to’ nature of these objectives is opposed. The CMS should say what the Department is going to do. Whilst it is acknowledged that the Department’s powers to protect features on private land is limited to advocacy, this should at least be stated in an objective. It is also noted that the draft CMS contains additional objectives relating to integrated management, advocacy, maintaining the pest-free status of islands and to progress amendments to land classification. Decisions Sought Remove the phrase ‘Contribute to’ from all objectives and rephrase to indicate Departmental action e.g. 1.5.1.1 Manage the priority ecosystems and sites in Appendices 2, 3 and 4 on public conservation land using an integrated conservation management approach and actively managing threats, to achieve a healthy functioning state. 1.5.x.x Advocate for, and work with the land owners and community, to protect and restore the ecosystems listed in Appendix 2 which are not on public conservation land. 1.5.1.2 As a priority, apply resources to the greatest extent possible to ensure the persistence of the threatened species listed in Appendix 6. 1.5.2.5 Reword Policy 1.5.1.5 “Seek a nationally representative network of marine protected areas, through the implementation of local or regional marine forums focussed on the marine ecosystems listed in Appendix 8”. (see discussion below on marine reserves). Include an objective to re classify any stewardship land where priority habitats or threatened species are found. Include objectives for ecosystem services and freshwater, including advocacy. 1.5.3 More people participate in recreation See People’s Benefit and Enjoyment below p22. Outcomes Some of the Outcomes include material that is merely descriptive of values and repetitive of the introductory text. It is acknowledged that writing Outcomes is easier said than done but care should be taken to avoid describing threatened species as outcomes when the outcome is to reduce the level of threat. Section 1.5 Auckland Conservancy by 2024 is an overall Outcome for the whole conservancy: ‘The key organisational outcomes to be delivered by management of conservation resources within the Auckland Conservancy over the next 10 years’ (p19). Contrary to the first paragraph, the maps do not show “how Auckland Conservancy’s key conservation outcomes fit into the jigsaw of priority ecosystem and recreation outcomes’ (p21). What the maps show are the national priorities in the conservancy. Forest and Bird Submission – Draft Northland Conservation Management Strategy 9 10 There needs to be some clarification as to whether Section 1.5. is about Outcomes, or Objectives, especially as Outcomes now has a particular statutory meaning in terms of CGP. Are the Outcomes referred to just the Intermediate Outcomes from the SOI? Or should the text beneath these, detail each outcome? As the distinctive features etc have already been set out in Section 1.3, the Society’s view is that Section 1.5. should be written as Outcomes. Decisions Sought Amend Heading of 1.5 to Auckland Conservancy Outcomes by 2014 Clarify what is an Outcome for statutory purposes in Section 1.5 and rewrite all sub-sections in an outcome statement format. Amend the sentence beginning the maps in Volume II’ to state that it shows the national priorities in the conservancy. Milestones CGP Policy 13 (f) states that CMSes should include major milestones towards planned outcomes. Milestones should be specific, measureable, realistic and time-bound. Many of the milestones are vague and limited to merely reporting. The Introduction to Part 2 – Places states that “Milestones are special events that are measureable steps towards achieving the outcome statement” (p31). The word “special” (meaning unusual or better, held in esteem, reserved, reserved for a specific purpose, or not part of the usual programme/menu, or a reduced price) is not appropriate in this context. A disturbing number of milestones are “Report on…” such and such. The Society expects to see milestones that are actions contributing towards meeting the Objectives or Outcomes e.g. for Objective 1.4.8. an appropriate milestone would be ‘Protocols established with tangata whenua on customary use of materials’ etc. Decisions Sought Review all Milestones to ensure they are action- related. Delete the words “special events” from the Milestone descriptor in Part Two. Reword as: “Milestones are actions that are measureable steps towards achieving the outcome statement”. Ensure CMS includes milestones for Objectives in Part One. CONSERVATION OF NATURAL RESOURCES Lack of detail relating to management of indigenous biodiversity CGP Policy 4.1 (a) Each conservation management strategy and plan should include identification of: i. indigenous species and their habitats and ecosystems; ii. recreational freshwater fisheries and freshwater fish habitats; and iii. game birds and, on public conservation lands and waters, their habitats. Forest and Bird Submission – Draft Northland Conservation Management Strategy 10 11 4.1(a) is partially fulfilled by Appendix 6 Flora and fauna present, although the appendix is restricted to threatened species. However (ii) is limited to 1 sentence on p11, and a broad summary on p13, neither of which give any reference to native fish populations and their management requirements. The CMS is also silent on CGP Policy 4.1 (f) and (g) which relate to whitebait fishing and management.3 CGP Policy 4.1 (b) refers to the establishment of “management objectives for indigenous species and their habitats and ecosystems and recreational freshwater fisheries and their habitats, consistent with planned outcomes at places” to prevent loss and maintain representative examples, recovery of species, restoration of threatened ecosystems and maintenance of the ecological integrity of ecosystems. Apart from the Appendices of Key Ecosystems and Habitats and Priority Ecosystems and Sites, there is little or no detail about what the conservation objectives actually are, or actions to be taken to achieve them. The threats to the freshwater and terrestrial ecosystems are not identified. This is a crucial step in identifying and prioritising conservation actions. These threats include change in land use, poor land management practices (particularly the intensification of farming, quarry development and logging), sediment derived from accelerated erosion, drainage, water reticulation and supply, barriers to fish migration, pest plant encroachment (potential dydimo invasion), pest fish (particularly koi carp, rudd, tench and catfish), grazing, development, predators and climate change. These threats need to be included. Objectives are phrased as “Contribute to...” various outcomes without actually specifying what the department will do. Priority areas are often left to community initiatives and not DoC-lead. All priority areas (as identified in Appendices) should be DoC-led with local groups only relied upon to do lower priority projects. Various Milestones refer to “Conservation actions have been initiated at priority ecosystem sites at XYZ”. These conservation actions need to be made available (preferably included as appendices) and open to public scrutiny and submission. The Society presumes that this detail must exist as part of the NHMS4, but its exclusion from Conservation General Policy (CGP) the CMS means that the document lacks transparency and accountability. Forest and Bird is currently identifying Important Bird Area sites for seabirds in NZ under the BirdLife International Global IBA programme (Forest and Bird is BirdLife’s NZ partner). The process is similar to Ramsar sites identification and uses internationally accepted criteria. In the northern NZ region a number of sites will be identified – in the Kermadecs, Three Kings, the wider Hauraki Gulf region and on Auckland’s west coast. The CMS should at least recognise that this process is underway even though the IBA seabirds report will not be published until later in the year Attached is a list of sites for northern New Zealand. Marine areas will also be identified under this programme. 3 See submissions below on Freshwater and on Part 3 of the CMS regarding eels and game birds. Variously referred to as Natural Heritage Management’ and Natural Heritage System’ – see submission below on Definitions). 4 Forest and Bird Submission – Draft Northland Conservation Management Strategy 11 12 The other report that is useful for the CMS will be the Hauraki Gulf Seabird Strategic Plan – to be published soon by the Hauraki Gulf Forum. This has a number of recommendations relating to islands/island groups in all three conservancies for which Drafts have been notified.. Hauraki Gulf Important Bird Area (IBA) Programme BirdLife International’s Important Bird Area (IBA) programme has for more than 30 years been successful at setting priorities and focusing conservation action on land and is now being adapted and extended to the marine environment. It is a global programme with over 11,000 IBA identified worldwide. In New Zealand, BirdLife International, through its New Zealand partner the Royal Forest and Bird Society of NZ (in association with the Ornithological Society of NZ), is identifying IBAs for seabirds. This is the first stage of a programme that will extend to encompass New Zealand’s precious land-, shore- and waterbirds. IBA for seabirds are those areas recognised for regular high use using a standardised set of data-driven criteria and thresholds, ensuring the approach can be used consistently worldwide. Essentially, most of the Hauraki Gulf is to be identified on this basis and given the complexity of our marine environment and number of species to consider Hauraki Gulf and other New Zealand IBAs for seabirds will develop from a mosaic of ‘layers’, with each ‘layer’ representing breeding and the high regular use of foraging areas of a particular or distinctive grouping of species. Thus candidate Marine IBAs are being identified on the basis of their ‘distinctiveness’, a combination of the suite of ‘trigger’ species, whether birds are sedentary or disperse during non-breeding periods, oceanography, marine habitats, as well as fisheries interactions (by-catch) and other threat issues. These threats can vary from area to area, e.g. habitat depletion, shipping volumes and marine/seabed exploration. As described above seabirds are rebounding in the Wider Hauraki Gulf Region. Considerable investment in eradications is paying off, and IBA status can reflect significant and sizeable populations. However, IBAs are also designed to put the spotlight on those sites that are important to the survival of threatened species. The Hauraki Gulf, like New Zealand with its suite of threatened species, registers strongly on that count. IBAs are a conservation tool, and through monitoring and community participation, will provide a measure of how well we are protecting these important sites, and because they use global criteria, they are a check on how well we’re doing internationally. Decisions Sought Include text identifying biodiversity threats. Include management objectives and actions consistent with CGP Policy 4.1 (b). This should be by way of an amendment to the Draft CMS and re-notified to enable informed public submission. Re-write the Objectives to clarify the Department’s actions e.g. 1.5.1.1 To protect and restore indigenous ecosystems on public conservation lands and waters to a healthy functioning state, focusing on the priority ecosystem sites listed in Appendices 2, 3 and 4. Forest and Bird Submission – Draft Northland Conservation Management Strategy 12 13 1.5.1.2 To give priority to ensuring the persistence of nationally threatened species, as listed in Appendix 6. Include an objective To protect the marine species and populations for which the Department is responsible to achieve the recovery of those that are threatened of that have been depleted or other adversely affected by human activities and / or invasive species or pests. 1.5.1.5 To seek a nationally representative network of terrestrial and marine protected areas, including marine reserves, taking into account the ecosystems listed in Appendix 2, 4 and 8, through implementation of regional marine forums. Include an objective ‘To advocate, through statutory processes, for the legal protection of terrestrial and freshwater ecosystems, habitats and species both within and outside conservation land’ either here, or in a new Statutory Advocacy section. To advocate the conservation of natural and historic resources generally Amend the CMS so that conservation actions for all priority sites are DoC-led. Include text and policies on Important Bird Areas, either in Section 1.5.1 or in a Hauraki Gulf Place. Include an Outcome that seabirds have better protection and become much more conspicuous because their breeding and feeding areas are better managed. Re-write the Milestones to be more action-specific. Reclassification of Land FRESHWATER s 6 (ab) of the Conservation Act is “To preserve so far as is practicable all indigenous freshwater fisheries, and protect recreational freshwater fisheries and freshwater fish habitats” and the department is also responsible for implementing the fish passage and other responsibilities under the Freshwater Fisheries Regulations 1983, yet the CMS lacks comprehensive provisions to achieve these functions. Auckland doesn’t seem to place much priority on Freshwater conservation although some priority sites include wetlands and Appendix 2 p157 includes wetlands as a Key ecosystem and habitat. Management response at these sites includes: “Plant and animal pest control, biosecurity surveillance and management, and advocacy and consultation.” Auckland has no general objectives or policies for freshwater except for 3.131 “Work with the Northland and Auckland/Waikato Fish and Game Council on the management of sports fisheries and game birds”. Forest and Bird Submission – Draft Northland Conservation Management Strategy 13 14 Decisions Sought Add to text: Threats to freshwater / wetland ecosystems include poor water quality, change in land use, poor land management practises (particularly the intensification of farming), drainage, water reticulation and supply, pest plant encroachment, pest fish, grazing, development and predators”. Provide more comprehensive provisions for freshwater conservation to implement s6 (ab) of the Conservation Act and the fish passage and other responsibilities under the Freshwater Fisheries Regulations 1983, including more information and policy direction for the management of whitebait species e.g. Will work with other organisations and landowners to protect the pathways of indigenous migratory freshwater fish (primarily whitebait and eels) species and ensure sports fishing doesn’t adversely impact these species. Include an Action Plan as a milestone by Year 3 to implement these provisions. Include Waikato Policy 2.2.2 (d) in the Auckland CMS. Biodiversity Threats CGP Policy 4.2 requires the identification and prioritisation of threats posed by pests. This seems to take the form of Appendix 5. Auckland does not seem to have an equivalent Objective to Northland (1.5.1.7 Collaborate with agencies and communities to prevent the establishment and spread of the plant, animal and invertebrate pests listed in Appendix 5) and even Little Barrier Place has no reference to weeds or pests in its policies. Waikato has a more comprehensive and acceptable approach: 1.5.1.11 Control pest plants and animals (identified in Appendix 6) to improve the quality and functioning of the ecosystems identified in Part Two—Places of this CMS, and the ecosystems and habitats outside those Places identified in Appendices 3–5, and to protect significant populations of indigenous species at the highest risk of loss within Waikato Conservancy. However there is little detail of what the Department will do. Decisions Sought Ensure the Appendix of Pests is linked to an effective provision using Objective 1.5.1.11 in the Draft Waikato CMS as a model. Provide more detail in the Place section on Pest actions. Forest and Bird Submission – Draft Northland Conservation Management Strategy 14 15 Fire There is no general mention of fire management. Fire is an issue that should be generally addressed in the CMS, preferably in Part 3. Decision Sought Either include a policy similar to 2.2.10 in the Ahipara Place in Northland, "2.2.10 Continue to actively engage with the community to reduce local fire risk and implement reduction measures wherever necessary, particularly a... " or otherwise include as a general policy in Part 3. Biosecurity Northland CMS includes the following Policy (and in all other similar Place policies: 2.1.13 Promote biosecurity measures to minimise the threat of PTA (kauri dieback disease) to the forests. However “Promote” is not enough. The Department should have a plan and implement it. All forests on public conservation land where kauri is present, especially close to tracks, should have signs and footwear cleanser at track entrances. Some tracks may need to be closed, subject to monitoring. Decision Sought Add a policy: Implement and update as required a biosecurity plan to minimise the threat of PTA (kauri dieback disease) to forests where kauri is present with priority given to areas with public tracks. Measure to include provision of sanitiser and track closure where necessary. Climate Change There is limited reference to climate change and no policy. CGP 4.1 (b) (see under Biodiversity above) requires objectives for the prevention of loss and maintenance of representative examples of the full range of species, habitats and ecosystems. 4.2 (a) requires identification and prioritisation of threats by pests. Climate change is a fundamental threat to be considered under both policies. The following statement should be included in the CMS: “Likely climate change impacts as pertaining to Public Conservation Land Climate change represents the single biggest threat to the survival of New Zealand’s indigenous flora and fauna. There are six key aspects to this. 1. Changing conditions in habitats that host flora and fauna that are unique to those areas, making them inhospitable to their endemic dependents. 2. Increased populations of existing introduced predator and pest species. 3. New species of introduced pest species being able to establish because of changed climatic conditions 4. The direct effects of extreme weather. 5. Sea level rise. 6. The role the conservation estate can play in carbon sequestration Forest and Bird Submission – Draft Northland Conservation Management Strategy 15 16 As New Zealand’s temperatures rise and climatic patterns around the country change, the nature of our plant and animal habitats is changing. Alpine areas are becoming more akin to lower altitude environments; conditions in southern areas are starting to become more like those in the north; and many lowland areas are becoming drier than they have ever been before. For those native plants and animals that exist only in small, specific parts of the country (whether that be because they have evolved according to the unique conditions found there, or because much of their preferred habitat has been lost to development), these changes are likely to result in extinction, particularly if those habitats are cut off from any similar areas by human activity. Warmer temperatures are likely to upset the breeding cycles of other endangered animals, such as tuatara - the gender of tuatara hatchlings is determined by the average soil temperature that the eggs experience while they develop. The higher that average temperature the less females that hatch. Changing weather patterns can be expected to further disrupt the already heavily-modified ecosystems that exist in the public conservation estate. For example, increased summer/autumn temperatures are causing beech forests to seed more and more often. This allows the populations of seed-eating predators to more regularly burgeon, which then in turn will have major consequences for native trees, birds and insects. Greater use of effective, integrated pest control over large parts of the conservation estate not only protects vulnerable species against introduced predator plagues, but also allows the vegetation in the conservation estate to sequester greater quantities of carbon. DOC should considerably increase the resources it puts into the Predator-Free New Zealand concept. Animals such as possums, deer and goats eat their way though huge amounts of carbon sinkforest every year; reducing this toll would also make an important contribution towards this country’s part in fighting climate change. The extreme weather events that are becoming increasingly common in New Zealand are likely to threaten the survival of many of our indigenous plants and animals. This threat is only likely to grow, as the extreme weather events continue to become more common. For example prolonged dry spells and associated low freshwater levels can deprive endangered species of food, and habitat. Prolonged dry conditions are known to make it impossible for kiwi to drive their beaks into the soil as they hunt. Unseasonal high rainfall and resulting floods can destroy the river bed habitat used by species such as wrybill to nest on. The continued acidification of oceans will alter the characteristics of the food chain, particularly for those organisms that produce calcium based shells or skeletons with unknown consequences for the many animals that rely on those organisms, for food. The rapid (in geological terms) rise of sea levels will likely see the reduction, modification or elimination of many intertidal habitats. “ These threats should be identified, monitored for, and addressed where necessary. Provisions for migration of ecosystems (especially coastal and marine – marine mammals) should be considered in reserve design and acquisition and advocacy for a precautionary approach and mitigation. Forest and Bird Submission – Draft Northland Conservation Management Strategy 16 17 Decision Sought Include a more fulsome discussion of climate change and its effects on indigenous biodiversity such as the statement above. Identify the threats for the conservancy and monitoring that is required. Advocate for a precautionary approach and mitigation where relevant. Marine The Marine provisions in the CMS need strengthening. Marine Reserves Conservation General Policy states: 4.4 (c) The establishment of marine reserves adjacent to public conservation lands and waters will be considered where it is beneficial for conservation management. 4.4 (d) Marine reserves will be managed to be maintained or restored to a natural state as far as possible. 4.4 (e) The Department should work with other agencies and interests to promote and develop a marine protected areas network, including marine reserves, wildlife reserves, sanctuaries and other protective mechanisms. CMS Policy 1.5.1.5 “Contribute to building a nationally representative network of marine protected areas, taking into account the marine ecosystems listed in Appendix 8”, is very broad, and as mentioned above, doesn’t say what the Department will do. The Society understands that the stock-take and gap analysis of the North-eastern Marine Biogeographic region has been completed. Therefore the objective should incorporate initiating regional marine forums. It is not acceptable that such an important conservation function not be planned for in the next 10 years. All of the coastal Places should have marine forums established with associated milestones. The Outcomes for existing marine reserves should include the words from CGP “maintained or restored to a natural state as far as possible” Decisions Sought Reword Policy 1.5.1.5 “Seek a nationally representative network of marine protected areas, through the implementation of local or regional marine forums focussed on the marine ecosystems listed in Appendix 8”. Include Milestones relating to the marine forums (by Year 3) and the achievement of marine protected areas (by Year 5). Include the words from CGP “maintained or restored to a natural state as far as possible in all Outcomes for existing marine reserves. Amend aircraft policies to the effects that there should generally be no aircraft landings in or adjacent to marine reserves except for management or research purposes. Forest and Bird Submission – Draft Northland Conservation Management Strategy 17 18 Marine mammals There are 4 generic policies in the CMS: 3.12.1 Support research into and monitoring of the impacts of human interactions with marine mammals. Monitoring should be required, not just supported. 3.12.2 Take a precautionary approach to the number of commercial operators involved in marine mammal operations, including seeking a moratorium on the issuing of new permits if research and monitoring indicates that such a step is required. 3.12.3 Require commercial operators viewing marine mammals to provide a high standard of education and interpretation. 3.12.4 Review at regular intervals, and implement, a marine mammal tourism site plan for Auckland Conservancy, which sets out desired objectives for management of the marine mammal tourism industry. DOC Auckland should consider establishing a cost recovery system associated with the management and protection of marine mammals within the Auckland Conservancy. A cost recovery system such as this is “best practice” in terms of contemporary ecotourism. Maui’s Dolphin Marine Mammal Sanctuary A CMS should “establish objectives for the integrated management of natural and historic resources, including any species, managed by the Department under the … Marine Mammals Protection Act 1978…” (CA Section 17D). Section 3A of the Marine Mammals Protection Act states: “Department of Conservation to administer marine mammals and sanctuaries The Department of Conservation shall administer and manage marine mammals and marine mammal sanctuaries in accordance with— Any statements of general policy approved under section 3B of this Act; and Any conservation management strategy5 and any conservation management plan for the time being in force for the area concerned”. CGP Policy 4.4 (f) Marine protected species should be managed for their long-term viability and recovery throughout their natural range. This policy has not been implemented in relation to Maui’s dolphin. Maui's dolphin is facing a very real threat of extinction unless there is immediate action to remove ALL threats from their natural range. They simply won't survive otherwise. Regardless of political considerations, to achieve CGP 4 (f) the Minister should be: addressing both fishing and non-fishing threats. There should be a total ban on the key threats - all gill nets, trawling, seismic surveys and all forms of marine mining. 5 The author has made text on this page bold and underlined for emphasis Forest and Bird Submission – Draft Northland Conservation Management Strategy 18 19 extending the existing sanctuary to include all dolphin habitat, i.e. 'natural range', which science tells us is waters out to the 100m depth, or at a minimum to the 12nm boundary, and including harbours. Decisions Sought Amend Policy 3.13.1 “Support research into and monitoring of the impacts of human interactions with marine mammals” so that monitoring is required, not just supported. DOC Auckland should consider establishing a cost recovery system associated with the management and protection of marine mammals within the Auckland Conservancy with a Year 3 milestone. Include more factual information about threats facing Maui’s dolphin and the existing Marine Mammal Sanctuary. Include a policy to review the Threat Management Plan to - address both fishing and non-fishing threats. There should be a total ban on the key threats (all gill nets, trawling, seismic surveys and all forms of marine mining.) - extend the existing sanctuary to include all dolphin habitat, i.e. 'natural range', which science tells us is waters out to the 100m depth, or at a minimum to the 12nm boundary, and including harbours. These actions to be completed as soon as possible. Marine Farming The CMS is silent on marine farming. There is extensive marine aquaculture within the Auckland Conservancy which has the potential to have effects on both seabirds and marine mammals. Associated structures may also be vectors for the introduction of invasive marine species. There is also no subsection on marine threats such as climate change, sedimentation from adjacent land, invasive marine species or pollution. Decisions sought Include a policy to advocate for sustainable use of the coastal marine area focussed on threats such as climate change, sedimentation, invasive marine species or pollution. Include a policy to raise awareness about the values of the marine environment through education programmes and the media. LANDSCAPES AND SIGNIFICANT GEOLOGICAL FEATURES AND LANDFORMS Because Part 1 is structured around the SOI and Part 3 is minimalist, some generic issues have been overlooked including protection of landscapes on conservation land. There is an Appendix 9, Significant Geological features and landscapes with the Geopreservation sites but there is no policy linked to it. More context is required e.g. Forest and Bird Submission – Draft Northland Conservation Management Strategy 19 20 ‘Auckland has many significant geological features and landscapes. Refer to Appendix 9 for details’. To fully implement CGP, include Policy 4.5 (b): “Activities which reduce the intrinsic values of landscape, landform and geological features on public conservation lands and waters should be located and managed so that their adverse effects are avoided or otherwise minimised.” Waikato CMS has a policy in the Pureora Place that structures should be erected on the skyline. This sort of policy could be generic. Decisions Sought Tie Appendix 9 to a policy in Part 3 to protect landscapes and geopreservation sites on pcl and advocate for their protection elsewhere e.g. “Will advocate for the preservation of the outstanding natural character and landscapes of the coastal environment to central government agencies, local authorities, tängata whenua and the community”. Include CGP Policy 4.5(b) in the CMS. Include a policy to avoid structures on skylines or prominent features on pcl. Ecosystem Services Policy 1.5.5.2 is the only provision where ecosystem services are alluded to: “raise public awareness that intact functioning ecosystems underpin New Zealand’s economy both directly and indirectly.” Considering the significant role of ecosystem services provided by public conservation land, it is surprising that there is little or no explanatory text or more effective policies promoting it, including consideration of both management activity and authorisations. This should really be located in the section1.5.1 or Part 3. Decisions Sought Include a more fulsome discussion of ecosystem services. Include policy 4.6 (a) of CGP : Activities on public conservation lands and waters should be planned and managed in ways which avoid or otherwise minimise adverse effects on the quality of ecosystem services. Statutory Advocacy Section 7 of the CGP 2005 - Conservation Beyond Public Conservation Lands and Waters states: “The Department should undertake statutory advocacy to protect natural resources and historical and cultural heritage outside public conservation lands and waters and for the benefit and enjoyment of the public”. Forest and Bird Submission – Draft Northland Conservation Management Strategy 20 21 Section 1 states that it will guide the department in advocacy. The only advocacy action in Part 1 is: Work with tangata whenua to advocate for the protection of mahinga kai, wāhi tapu and other cultural resources located outside public conservation lands in accordance with Treaty settlement outcomes (p21). Appendix 2 includes advocacy and consultation for most ecosystem types “including supporting legal protection of highest priority sites on private land”. There are references to specific advocacy in several Places in Auckland CMS: 1.5.1.7 Advocate for a representative range of priority ecosystems sites off public conservation lands and waters within the Auckland Conservancy”. This should also say “to be protected”. 1.5.1.13 Advocate for integrated management between those agencies that have a statutory role in the management of Kaipara and Manukau harbours and their catchments (p21). 2.15.1 Advocate for a reduction in catchment-wide impacts on the Wetland [Firth of Thames/Tikapa Moana Place] particularly with respect to: (a) minimising sediment and nutrient inputs and (b) protecting wildlife habitat, botanical values and hydrological processes. 2.15.2 Advocate for the prevention of aircraft activity… 2.15.3 Advocate for … the Muddy Feet Project… (p110) Whilst these actions are all worthy, they do not implement Policies 7 (c) and (d) of CGP: CGP 7 (c) The Department should undertake statutory advocacy to protect the values of public conservation lands and waters where necessary. 7 (d) The Department should undertake statutory advocacy to protect natural resources and historical and cultural heritage outside public conservation lands and waters and for the benefit and enjoyment of the public, including public access, in particular where: i. the resource or heritage is of international, national or regional significance; or ii. indigenous terrestrial or aquatic species or recreational freshwater fisheries are threatened with loss or decline; or iii. significant marine or freshwater habitats and ecosystems are threatened with loss or decline; or iv. significant geological or geothermal features or landforms are at risk of permanent degradation; or v. activities taking place or proposed in places linked to public conservation lands and waters could have adverse effects on them; or vi. proposed activities are likely to cause further loss, degradation, or fragmentation of significant places; or vii. important linkages between significant places can be maintained or improved; or viii. representativeness of the full range of indigenous habitats and ecosystems can be maintained or improved; or ix. natural character of the coastal environment and the margins of lakes and rivers would be compromised; or Forest and Bird Submission – Draft Northland Conservation Management Strategy 21 22 x. recreational freshwater fisheries are threatened with loss or decline; or xi. public walking access to rivers, lakes or the coast and to public conservation lands and waters is inadequate. In view of the statement in Section 1 mentioned above the CMS should make it clear that these are specific additional areas of advocacy to those in CGP. Decisions Sought A more comprehensive and consistent approach to advocacy is required and should be set out in Part 3 of the CMS. The CMS should make it clear that the advocacy actions specified in the Places are additional areas of advocacy to those in CGP. PEOPLE’S BENEFIT AND ENJOYMENT Priority to preserve and protect natural and historical resources Section 6 (e) of the Conservation Act states: The functions of the Department are… (e) To the extent that the use of any natural or historic resource for recreation or tourism is not inconsistent with its conservation, to foster the use of natural and historic resources for recreation, and to allow their use for tourism: This provides a clear hierarchy to the Department’s functions and responsibilities with regard to the relationship between use of natural resources and their use for recreation and tourism. The protection and preservation of natural and historical resources has priority over recreational enjoyment to the extent that recreation must not be ‘inconsistent’ with protection and preservation of natural and historical resources, and similarly, recreation has priority over the provision of tourism. The Department’s hierarchy of responsibility is, therefore, to preserve and protect natural and historical resources, followed by fostering recreational enjoyment followed by allowing tourism, as long as the prime responsibility is not compromised in each case. Within the text and the management objectives and policies of the draft CMS this responsibility has been compromised. Nowhere in the text is there any mention of the fact that not all recreation and tourism activities are appropriate on public conservation land. Many of the management objectives and policies in the draft CMS reflect an approach which is generally inconsistent with the intent of the Act. Many policies focus on recreation while policies associated with actions required to preserve and protect of natural and historical resources have been written that they could be interpreted to be of less importance. This is particularly the case with Objectives 1.5.3.1: Forest and Bird Submission – Draft Northland Conservation Management Strategy 22 23 Understand and respond to demand for particular types of recreation and other forms of participation when providing facilities and services. and 1.5.3.5: Provide visitors with the opportunity for a positive social, physical and learning experience on public conservation lands. The problem with a demand-driven approach is that this does not necessarily equate with what is appropriate on protected lands. The Auckland (1.5.3.6) CMS has an objective relating to conflicting uses. Such a provision is necessary to begin to meet CGP 13(a) (iii) potential conflicts between outcomes at specific places and an explanation of how these will be resolved, although this is not followed through in other sections. As discussed elsewhere the expectations that visitors will “accept” aircraft noise is not acceptable and visitors to public conservation lands, part from tourist spots, should be able to enjoy natural quiet. Decisions Sought Add after the last sentence of the introductory text in 1.5.3 the words “However not all recreation and tourism activities are appropriate on public conservation land.” Amend objective 1.5.3.1 to read Understand and consider the demand for particular types of recreation and other forms of participation when providing facilities and services where consistent with the status of the land. Amend Objective 1.5.3.2 to read “Prioritise the sites listed in Appendix 10 for provision and management of visitor services.” Delete 1.5.3.3 This is vague and meaningless. Amend objective 1.5.3.5 to read To provide and manage a range of recreation opportunities on public conservation lands and waters in a way that facilitates public use, education and enjoyment and is not inconsistent with the conservation and protection of natural, historical, cultural or recreational values, including natural quiet and remoteness. Include additional Objectives: The Department will monitor the quality of the visitor experience and effects of visitor activity for consistency with the conservation and protection of natural, historical, cultural or recreational values, including natural quiet and remoteness. Avoid, minimise and otherwise manage conflicts between different users, including people undertaking different types of activities in the same location, in particular by: a) providing guidance on appropriate shared-use etiquette; Forest and Bird Submission – Draft Northland Conservation Management Strategy 23 24 b) using one-way direction of travel or specified single-use tracks; and c) placing seasonal restrictions on some activities. The Visitor Management Zone Maps are very small scale and difficult to interpret, precluding the ability to make a coherent submission on detail, especially the boundary between front and back country and how the Destination Management Framework is integrated with ROS. (There is a similar problem with the Aircraft Access Zones). Inadequate maps mean that zone boundaries cannot be identified for purposes of submission or decision-making (legally the published maps are the basis for decisions). These should be renotified to allow for informed submissions. Appendix 11 Prescriptions for Visitor Management Zones sets out the ROS classes much as we know it. There are two problems with the Back Country descriptions: (i) The way the Accessibility by vehicle, boat or aircraft is expressed is somewhat confusing In the third bullet point the word “generally” should be deleted to read “motorised ground access restricted to designated tracks”. (ii) The Desired Visitor Experience states that the Back Country visitor is “generally accepting of occasional intrusion of noise”. This is not accepted. Note that even the SOI states “People seeking to hunt, tramp and wander on public conservation lands even where there are few or no facilities. People seeking challenge and adventure in the backcountry—‘nature on nature’s terms’.” The Prescription for management of effects of concessions in Front Country excludes the requirement to “remedy” as in avoid, remedy or mitigate”. This is inappropriate in a conservation setting and the full range of management options should be available. Local Treasures (Appendix 10) Many of these places are on main roads and are destinations for visitors or of national significance e.g.Miranda wildlife viewpoint, Tititiri. One is just a carpark (Mt Auckland). ‘Conforming’ activities DoC has schedules of ‘conforming’ recreational concessions i.e. lists of tracks and party size. Applications for concessions for these activities are fast-tracked. There is no reference to these in the CMS and there should be. Decisions Sought In Appendix 11, Amend the Back Country descriptions: Accessibility Clarify in the second bullet that ‘Back Country Accessible’ applies to areas reached by existing authorised gravel or 4WD roads, by boat or via designated aircraft landing sites. In the third bullet point delete the word “generally” to read “motorised ground access restricted to designated tracks”. Amend (ii) The Desired Visitor Experience to read ‘Absence of built environment and commercial enterprises (e.g. shops, cafes etc) apart from basic facilities (toilets, shelters). Sounds of nature predominate.’ Forest and Bird Submission – Draft Northland Conservation Management Strategy 24 25 Amend the Front Country Prescription for management to include “avoid, remedy or mitigate”… Include reference to ‘Conforming’ activities and include as schedules. VEHICLES Vehicles and transport systems can affect natural quiet, enjoyment of other users; have direct impacts on ecosystems and wildlife, and can be a vector to spread weeds or pests e.g. Didymo. There is no obligation to allow vehicle use but it may be provided to foster recreation subject to protecting conservation values (and the costs of maintenance being achievable). The CMS should include policies for advocacy for protection of areas outside pcl. CGP6 requires vehicles and transport use to be compatible with the statutory purposes for which the place is held, or be necessary to enable the Department to perform its functions. CMSes have to identify where the use of specified types of vehicles and other forms of transport may be allowed and establish any conditions for use. A table or map listing roads, tracks or routes open to use should be included and any restrictions specified e.g. 4WD only, time of year etc. The use of the word “generally” in the first sentence, paragraph 2 on p113, is misleading. Paper roads There is no discussion as to whether there are any unformed legal roads that should be closed. Possible policy: Identify any legal roads running through conservation land that should be stopped and added to pcl. Mountain biking The Mountain Bike Definition p139 is “A non-motorised bicycle that can be used off formed roads”. This should be amended to also exclude power-assisted bikes, as the potential speed of these vehicles will be a safety issue for other users. Note that the definition of Power Assisted Cycle (up to 300 watts) is not used in the document. The capability of powerassisted bikes is expected to increase significantly in the next decade. It is not clear whether a battery powered bike is considered to be “motorised”. Amend to read “A non-power assisted bicycle...” The text at the beginning of Part 3 says “Improved track designs, management techniques, user education and signage have reduced concerns about potential user conflict and impacts on site values. Amend the text relating to mountain biking on pg 113 to read: 6 CGP 9.5 The use of vehicles and other forms of transport 9.5 (a) The use of vehicles and any other forms of transport should. 9.5 (b) Conservation management strategies and plans will identify where the use of specified types of vehicles and other forms of transport may be allowed and will establish any conditions for use. Forest and Bird Submission – Draft Northland Conservation Management Strategy 25 26 Mountain biking has become an established recreational activity on public conservation lands. Improved track designs, management techniques, user education and signage have reduced some of the early concerns.] Decisions sought Include a table or map listing roads, tracks or routes open to use and any restrictions specified e.g. 4WD only, time of year etc. Delete the word “generally” used in the Introductory text. Identify any legal roads running through conservation land that should be stopped and added to pcl. Amend the definition of mountain bike to exclude any power-assisted bikes. AIRCRAFT Inadequate maps mean that zone boundaries cannot be identified for purposes of submission or decision-making (legally the published maps are the basis for decisions). If zones are to be used, maps should be re-notified for informed submission. Aircraft comes under CGP 9.5 (b) which says that the CMS will identify where the use of specified types of vehicles and other forms of transport may be allowed and will establish any conditions for their use. Technically the maps show the frequency of where aircraft are allowed but there are few other conditions specified. The approach used is far too permissive, specifically the yellow and green zones, and encourages an increase in aircraft use on pcl, facilitating both positioning of recreationalists and for purely social uses. The approach of little or no control unless problems arise is short sighted as history shows that efforts to wind back use once established is very difficult if not impossible. It also reflects a naivety about future growth and the exploitation of loopholes. The issue is what recreational use of aircraft is justified, and if so where and how often (limited or regular use). Even 5% encounter rate is high on pcl in a remote or back country zone. The use of standard zones in each conservancy is flawed, as there is no consistency in how the zones are applied in the first place. About half of pcl in Northland is Green zone, whereas Waikato and Auckland have more specific provisions in several Places. The Yellow Zone is flawed because the argument that there is a low aircraft use, is not a reason to increase it! The presumption for approval is mistaken. In addition, the national conditions of two landings per operator per day at any one site (defined as within a 1-km radius) and a maximum of 20 landings per site per operator per year does not take into account the total number of operators. Motutapu Island appears to be largely zoned yellow. It should have its own specific aircraft limits. Forest and Bird Submission – Draft Northland Conservation Management Strategy 26 27 The Green Zone is flawed because it assumes there are places where values are not affected. The Society is hard-pressed to think of any places on pcl where this would be the case. It is also considered that the “natural limits” and “unlikely demand” scenarios are not plausible. There are always those who seek to push the limits, whatever they are. Again, the presumption to approve is contrary to the traditional kiwi back country experience. The Prescriptions for Management of Aircraft Zones (Appendix 13) includes an average percentage of time that aircraft are likely to be encountered: Remote 1% or less, Back Country Occasional 5% or Regular 25% and Front Country Frequent 50% or more. The combined effect of this and the zoning prescriptions is that there is likely to be a considerable increase in aircraft use in response to pressure for access to picnic spots, for weddings in the back country, heli-walking, biking and hunting etc. Problems with this approach: Aligning aircraft use with natural quiet (noise) parameters of the Visitor Settings might appear logical but busy Front Country areas could be most inappropriate places to have aircraft operating. People noise does not equate to motorised noise, especially aircraft noise. There would be very few places where visitor values are not affected by landings. Back country visitors should not have to accept noise for 25% of their visit and 50% for front country – only Milford and the glaciers would probably have this level of use. Basing policy on the assumption there is no demand is short sighted – canny operators are likely to take advantage of this. Limits on landings per operator do not include limits on the number of operators. There is an assumption that aircraft use is normal on pcl and entrenches it across pcl except for remote and wilderness areas indicated by the use of the word “should” rather than “may” for the Green zone. This is contrary to the notion of people seeking experiences on conservation land to get away from developed environments of the rest of New Zealand. The more encounters people have both with aircraft (by way of noise) and more encounters with other people, remote and back country areas will become less remote the more people are present and the easier it is to access a place. Essentially the aircraft policies allow a re-zoning by concession. There is always going to be some aircraft use everywhere for management purposes. In practice, there appears to be a conflict between this approach and some of the Place policies, Map 4 and Appendix 11. The permissive approach continues with concessions where aircraft use is generally permitted for concessions. Policy 3.4.10 states that DoC “should permit aircraft landings and take-offs on public conservation lands for the construction and/or maintenance of utilities authorised by concession”. This means that a concession can effectively change a recreation or aircraft zoning, when the converse should apply – concession use of aircraft should reflect the zoning for the area. Forest and Bird Submission – Draft Northland Conservation Management Strategy 27 28 Decisions Sought Re-notify any aircraft zone maps for informed public submission. Add new objective: avoid or otherwise minimise adverse effects on the qualities of peace and natural quiet, solitude, remoteness and wilderness. Re-visit the entire approach to aircraft zoning and use and base the management approach on a presumption against an increase in aircraft use (by using the words ‘may’ or ‘should not’) to reflect the natural, and in many cases, remote character of public conservation lands, and this should be included in all the Outcomes. The Yellow and Green Zones should be deleted and CMSes should include strict limits outside existing use, including landing sites, flight paths and frequency, duration, time of year. At the very minimum delete the words “should be” from the Green Zone in Appendix 13 and replace with ‘may’ and change the words “should allow” in policy 3.4.1 to “consider”. Amend Policy 3.4.10 “Aircraft landings and take-offs on public conservation lands for the construction and/or maintenance of utilities authorised by concession should be consistent with the recreational zoning and included in overall limits for aircraft use”. HUNTING There are no general hunting policies for Auckland. However pig hunting is widespread and should be addressed, and the CMS should explain the Wild Animal Control Act and the deerfree areas to achieve the integrated management required under s 17D. Although there are hunting policies for some Places, there should be a general hunting section in Part 3 that includes a policy to require avian aversion training for all permits for dogs wherever there are ground nesting birds. Feral pigs are a pest in Auckland forests – their foraging habit destroys ground cover and prevents regrowth of forest canopy and understorey, and is a threat to kiwi nests. The CMS should provide for departmental control where recreational hunting is not effective in keeping damage to biodiversity to minimal levels. This may include use of traps and organised club events focussed on a particular area. Management of feral pigs by hunting organisations should not be allowed. Decisions Sought Dog use for hunting should require avian aversion training in all areas with ground nesting birds. Include a policy for departmental intervention where feral pigs are impacting on biodiversity values. Include a policy to not allow management of feral pigs by hunters. Forest and Bird Submission – Draft Northland Conservation Management Strategy 28 29 Dogs For a comprehensive, educational and user-friendly approach, the lists of Open and Closed Dog areas should be included as an appendix in the CMS. Decision Sought Include the Gazette notice for Controlled and Open Dog Areas, or a schedule as appropriate, in an Appendix. Other animals There is no conservation reason for allowing other animals on pcl. Policy 3.6.3 is worded in a way that may preclude some options. Decision Sought Amend the title to read “Other animals (including pets)” Amend Policy 3.7.2 to read “Will not permit any other types of animals...etc” Policy 3.6.3 should read “will consider reviewing horse riding” Sports Fish and Game Birds Policy 3.13.1 is minimalist in the extreme and does not satisfy CGP 9.4. (Note referencing error in the notified draft). The introductory text includes policy in the last paragraph which should be included. Decision sought Amend policy 3.13.1 to read: Will work with the Northland and Auckland/Waikato Fish and Game Councils to provide for sports fishing and gamebird hunting, while ensuring there are no adverse impacts on the indigenous species and their habitats, and is consistent with the purposes for which the land is held. USE OF CONSERVATION LAND – AUTHORISATIONS The 3rd sentence of the text says “The Department aims to allow for a range of authorisations that are consistent with relevant legislation and policy, the protection of natural resources and historic and cultural heritage, and the recreational settings and planned outcomes for specific places.” This statement contains an element of predetermination. Decision Sought Redraft to use the word “may” instead of “aim”. Forest and Bird Submission – Draft Northland Conservation Management Strategy 29 30 Private Accommodation Policy 3.9.2 is not consistent with CGP 10 (h). Decision Sought Replace “should” with “will” in policies 2 and 3 Sand and Shingle extraction CGP 11.4 (c) states that CMSes will identify where material can be removed. Decision Sought Amend policy 3.10.1 to read: Will only authorise sand and/or shingle extraction from public conservation lands and waters where adverse effects can be avoided, remedied or mitigated and the resource cannot be practically be accessed elsewhere. Collection of Materials For completeness the text in the Waikato draft is recommended: Decision Sought Include the Waikato CMS text: “Applications for the collection of material for research and information needs are addressed in, and must be consistent with, the Conservation General Policy 2005 (section 12: Research and information needs). The collection of material from public conservation lands and water also includes customary activities of significance to tangata whenua (refer section 1.4: Treaty of Waitangi responsibilities). Treaty settlement legislation also recognises the significance of customary activities to tangata whenua and in many instances specifies processes for customary use of materials managed under conservation legalisation, e.g. the Reserves Act 1977. “ Filming The CMSs should consider effects of “film tourism” where relevant i.e. where use of a conservation area as a location for films is likely to generate visitors to see that site. Decision sought Add ‘effects of any subsequent increased visitor use of area as a result of filming activity’ to 3.14.1. APPENDICES Appendix 1 Activity Scope Point 3 refers to “as agreed in consultation with the community” but there is no indication of what this consultation might be. It should be clarified and cross-referenced to a policy. Appendix 2 Significant Values Forest and Bird Submission – Draft Northland Conservation Management Strategy 30 31 This is over-summarised. It implies the named areas are the only places with significant values, which is not the case. The ones named are the outstanding areas. Similarly the Administrative status is too general – it does not indicate scientific or scenic reserve etc. Lakes and Rivers Dune lakes have been omitted and there is no data at all about rivers. Appendix 3 Islands The heading of the 3rd column “Desired Island Classification’ needs further explanation and a policy to link it to. The Issues should be addressed in the Places but are not. Appendix 5 Pages 171 & 172 need to be swapped around. Hedgehog – Priority place for action should include sites where integrated pest control is being undertaken. Rainbow skink- action should be taken to prevent further expansion. Appendix 10 and 11 and 13 See submissions above in Visitor and Aircraft sections. Decisions Sought Amend the Appendices as outline above. MAPS Legend Visitor Management Zones on non-public conservation land should be deleted. The difference between High and Second Priority ecosystems is difficult, if not impossible, to distinguish on the printed maps. The Visitor Management Zone legend should be shown on Map 3. Legibility Maps 3 and 4 are of too small a scale to understand the application of the Policies. Visitor management zones and aircraft zones (if any – see submission above), should be provided for each Place. Decision Sought Amend Maps as outlined above and re-notify them to allow for informed submissions. Forest and Bird Submission – Draft Northland Conservation Management Strategy 31 32 SECTION TWO Section 2 of this submission discusses the detail of the draft Auckland CMS, and identifies recommended changes and additions. This are written in the same order as found in the draft CMS. PART 2: PLACES 2.1 Marine Reserves Place Motu Manawa-Pollen Island Marine Reserve Paragraph 1 should include the fact that the reserve land is a breeding area for three threatened/at risk bird taxa: northern NZ dotterel (nationally vulnerable), fernbird (declining) and banded rail (naturally uncommon) and that it is habitat for the Bactra sp. moth. Decisions Sought Outcome Amend the outcome so that it includes the breeding area for northern NZ dotterel, fernbird and banded rail and includes the habitat for the Bactra sp. moth. Policies Add a policy addressing the need for predator control, especially during the bird breeding season. Milestone Predator numbers less than 5% within 3 years Insert a new place: Te Arai canal and estuary to Pakiri Coast Place (extension of the Northland CMS Whangaruru-Mangawhai Coast Place) The status of the NZ fairy tern is critical and with the current decline in already low numbers every effort needs to be made to prevent its extinction. The major causes are predation and disturbance but there is also a shortage of suitable nesting sites and territories. Decisions Sought Outcome/Policies Include and outcome and policies to upgrade the status of land to give the highest protection to fairy tern breeding, foraging and roosting areas including extending protection to mean low water, and to maintain intensive and comprehensive pest control for these habitats, year-round if necessary. Include complimentary policies to those in section 2.9 (Whangaruru-Mangawhai Coast Place) of the Draft Northland CMS. This is a continuous habitat area for NZ fairy tern aqnd NZ dotterel, with birds moving between all of these places. 2.3 Hauturu/Little Barrier Island Place The New Zealand storm petrel was thought to be extinct until its rediscovery in 2003. However its breeding site was unknown until it was recently discovered on Hauturu. Forest and Bird Submission – Draft Northland Conservation Management Strategy 32 33 Decision Sought Outcome Amend the outcome so that it includes mention of the recent rediscovery of the breeding site for NZ storm petrel. 2.7 Kaipara Harbour Place The Kaipara Harbour is the winter feeding ground for fairy tern and they nest at South Head/Papakanui. A new nesting area is proposed at Bird Island, Taporapora, and if successful the adjacent Manukapua Id may also be suitable. These will require protection from people, vehicle and dog disturbance and predators, as part of an on-going programme to increase the nesting sites for this taxon. The land status of these sites should be addressed so that they are made into Wildlife Management Reserves to Mean Low Water to enable control of people, dogs and vehicles. The status of the Okahukura Conservation Area should also be changed. Decisions Sought Outcome Amend the outcome to include new fairy tern breeding sites established at Bird Island and Manukapua and numbers have reached 100 birds. Policies Add a policy addressing the establishment of new fairy tern breeding sites at Bird Island and Manukapua including appropriate land classification to minimise disturbance from people, dogs and vehicles. Add a policy addressing the need for comprehensive predator control, especially during the fairy tern breeding season. Milestones NZ fairy tern population stabilised by 2017 (3 years out); breeding pairs doubled in 5 years and population of over 100 individuals in 10 years. Include Policy 2.7.17 a) and b) to be implemented by the end of year 3 after CMS approval (2017) Change aircraft outcomes and prescriptions to Red Zone. 2.8 Kawau Island Place Paragraph 7 mentions issues with introduced pests. These should also include pests such as wallabies, possums and lillypilly and other plant pests. Decisions Sought Outcome Forest and Bird Submission – Draft Northland Conservation Management Strategy 33 34 Amend the outcome to include the eradication of wallabies and pest trees. Policies Add a policy requiring a pest eradication plan for wallabies and pest trees, including lillypilly (Syzygium australe, S. smithii) Milestone Implementation to be completed by 2017 PART 3 - Specific policy requirements for Auckland Conservancy Amend to include climate change, biosecurity and indigenous biodiversity. Milestones Amend this section to include some Year 3 and 5 milestones e.g. marine mammal tourism site plans. Decisions Sought Policies Add a policy addressing the threat of climate change in terms of the impact of both rising temperatures and sea levels. Add a policy addressing the threat posed by introduced weeds and animal pests, including PTA (kauri dieback disease).Add a policy addressing the protection of indigenous biodiversity, particularly NZ fairy tern, Maui’s dolphin (including the West Coast Marine Mammal Sanctuary), black petrel, brown teal, chevron skink, Great Barrier Island kanuka and other threatened flora and fauna. Milestone Amend review of mountain biking to after 5 years APPENDIX 7: Icons in Auckland Conservancy Decisions Sought Add the following: Flora: kakabeak (Kaipara), Waitakere rock koromiko, Great Barrier Island kanuka, West Coast kowhai Fauna: Maui’s dolphin, NZ fairy tern, kokako, black petrel (LBI & GBI), NZ storm petrel, chevron skink (GBI), hihi VOLUME II MAPS Forest and Bird Submission – Draft Northland Conservation Management Strategy 34 35 Map7.7 Kaipara Harbour Place Decision Sought Identify Bird Island as such Conclusion Forest and Bird would like to conclude by congratulating the Department and Conservancy on the good work it has done and continues to do. The Society would like to appear in support of this submission. Forest and Bird Submission – Draft Northland Conservation Management Strategy 35