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»Aquaculture at Blackmore River

Blackmore River East Aquaculture Project

Submission on the Public Environment Report by the Environment Centre Northern Territory

1.

Rationale for the project

 

Section 1.5 'Project justification' seems to imply that prawn farming takes pressure off wild fish stocks. There is however no demonstrated link between aquaculture developments and a reduction in pressure on wild fish stocks. In fact prawn farms generally are heavily dependent on fishmeal sourced from wild stocks. Most aquaculture production which relies on fishmeal feed increases pressure on wild fishery stocks rather than decreasing it. Scientists estimate that around 2.8kg of wild caught fish are required to be ground up into feed to produce 1kg of aquaculture prawns (Naylor R et al Effect of Aquaculture on World Fish Supplies. Nature vol 405. 29 June 2000 p 1017-1023). The PER is notable in that it completely neglects to examine this aspect of the environmental impacts of the development. This should be rectified and more information included about the fishmeal used in feeding. Information about where the fish in the fishmeal originally comes from and the state of those stocks as well as method of fishing should be included.

2.

Development approvals process

 

The development approvals process which has seen the development application process carried out prior to the approval or otherwise of the PER undermines public confidence in environmental impact assessment processes. While we understand that the Development Consent Authority is yet to make a decision on the proposed development, we believe that it is particularly important that the community is provided with full information about potential environmental impacts of any proposal before the development approvals process is commenced for obvious reasons.

3.

Site selection process

 

The rationale for choosing the Blackmore River site is weak. In the absence of any Government aquaculture plan, the developer seems to have selected the site with a view to not upsetting recreational fishermen again, rather than according to comprehensive selection criteria. For example the analysis of potential impacts on marine life in the Harbour generally is weak. While the report concludes that there will be no impact on barramundi there is little evidence of any fieldwork designed to conclusively demonstrate this. In addition there is no serious effort to analyse potential impacts on other marine species. The developer should outline which sites were considered for the development, which sites were rejected and the criteria used for site selection.

 

Currently there is no clear process established by government which allows for aquaculture site selection to encourage minimal environmental impact. This was reflected in the first site chosen for this proposal which was clearly inappropriate and resulted in disruption for the developer and unacceptable costs to the taxpayer. As a matter of urgency the Environment and Heritage Division of DLPE must establish a set of transparent, science based selection criteria for aquaculture sites designed to minimise environmental impacts. Existing documents (eg. The Litchfield Land Objectives) which propose aquaculture zones offer no explanation as to how these areas were chosen. This does not instil confidence that a rigorous attempt was made to minimise environmental impacts.

4.

Flora and fauna impacts (on-site)

 

The site has high conservation values and is relatively intact. As the developers state in their development application "In summary, environmental effects of the proposed development will be alteration of the specific area of the site from a relatively unmodified wilderness to an intensive aquaculture site".

 

Phelps-Panizza propose to clear 420 hectares of woodlands, 61 hectares of drainage lines, 8 hectares of grasslands and 1 hectare of mangroves for the establishment of the prawn farm. The Environment Centre believes that clearing mangroves in Darwin Harbour is unacceptable, given their high conservation value Similarly the clearing of 420 hectares of eucalyptus woodlands represents a significant loss of habitat for the area.

 

The area may be habitat for the threatened Partridge Pigeon and several other vulnerable species according to the consultant's report. The proposed development would also destroy an area of the rare plant species 'Grevillea Longicuspis'. If the project proceeded in its current form it would destroy 6 archaeological sites in the area. If the development proceeds impacts on flora and fauna on site could be reduced by:

 

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Establishing a 100 metre vegetation buffer from the shorewards edge of the mangroves.

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annexing areas occupied by Grevillea Longicuspis from the development area.

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constructing nets over the ponds to exclude bird-life from the operation.

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establishing a record of any fauna deaths on site that is periodically reviewed with a view to impact mitigation and is available for public review

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5.

Flora and Fauna impacts (off-site)

 

Impacts on marine life in the Harbour have barely been considered in the PER. This is particularly inadequate given the high conservation values in the Harbour and the presence of threatened species such as the Irrawaddy Dolphin and the Indo-Pacific dolphin. No attention has been given to the potential impacts on other cetaceans, turtles, seagrass, corals and other important marine habitat.

 

The PER indicates that wastewater containing phosphorous and nitrogen may be released into the Blackmore River with potential downstream effects. The level of nitrogen which may be released is calculated as 27kg per day in some circumstances. This is equivalent to the nitrogen in human sewage from over 2000 people. (An average human produces around 11-12g of nitrogen in bodily wastes per day [Folke et al (1994) The costs of eutrophication from Salmon farming: Implications for policy. Journal of Environmental management 40, 173-182]).

 

Given that it is possible to operate zero nutrient release prawn farms, any aquaculture developments in the Northern Territory should be required to operate closed systems that do not input nutrients to waterways. This is particularly important given that the development of an aquaculture industry in the Darwin region could result in high cumulative impacts on top of other nutrient inputs. While the nutrient release from 1 operation may be acceptable, cumulative impacts of a several operations may not.

6.

The scale of the project

 

If this project proceeds in full it would be one of the largest aquaculture developments in Australia. Given our inexperience with and lack of regulation of aquaculture in the Northern Territory we should be laying the groundwork before we rush into major aquaculture developments. Most of the impacts associated with the development are related to its predicted size. The staged approach to development does not alleviate concerns about the impacts of the project given that there does not appear to be any intention to undertake a comprehensive public environmental impacts assessment and review process after several years of operations of Stage 1 and prior to development of Stage 2.

 

ECNT recommends that the Minister consider the PER in the context of Stage 1 of the development, and require further environmental impact assessment and review prior to any development of Stage 2.

7.

Project monitoring and regulation

 

Sections 5.4 & 5.5 of the PER dealing with monitoring and decommissioning lacked detail. For example it is unclear whether water quality results will be made public. Water quality monitoring should be undertaken by an independent agency and all results should be publicly available. Monitoring should be undertaken on a continuous rather than intermittent basis.

 

Decommissioning and rehabilitation- Whilst the PER does acknowledge the responsibility of the developer to rehabilitate the site following operations it does not provide any provision for ensuring that this occurs.

 

A number of aquaculture ventures including prawn farms in the Northern Territory have collapsed shortly after establishment and been abandoned by their owners. The taxpayer is then left to pick up the tab of rehabilitation, if, in fact, any rehabilitation is carried out. This is unacceptable and developers should be required to lodge a rehabilitation bond for all such developments. Without a rehabilitation bond Government and Industry are failing to safeguard the public interest.

 

The Environment Centre recommends that the proponent be required to lodge a bond equivalent to the total cost of rehabilitation of the project and that this bond be held in trust by the government to be returned upon completion of the project if full rehabilitation is completed.

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MORE INFORMATION

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PDF PDF Downloads:

 

NT Aquaculture Bonds (336 kb)

 

Darwin Harbour Alliance publication 'Mangroves or the Gold Coast' (375KB)
This publication includes maps of the Northern Territory Government's plans to destroy Darwin Harbour and the Darwin Harbour Alliance's alternative vision. It takes around 90 seconds to download.

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The Environment Centre of the Northern Territory
3/98 Woods St, Darwin » Postal Address: GPO Box 2120, Darwin 0801 NT
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