• Ballinakill Salmon Farm- Submission

    Application for licence for an open cage salmon farm at Ballinakill Bay, Co Galway   Dear Minister, The documentation submitted by Comhlucht Iascaireachta Fanad Teoranta, (CIFT), trading as MOWI Ireland, seeking a licence for an open cage salmon farm to be sited in Ballinakill Bay, County Galway, falls far short of what is required pursuant to Article 6(3) of the Habitats Directive. Nor can there be reliance on Article 6 (4) thereof, as there are no stated ‘imperative reasons of overriding public interest’, (IROPI), which could justify locating a salmon farm at this sensitive location. The proposed site is within close proximity to the Dawros river mouth. This river forms part of the ‘Twelve Pins Garraun Complex,’ Special Area of Conservation, (Site Code 002031). In this river Wild Atlantic Salmon are a ‘Qualifying Interest.’   Juvenile salmonids, which are already susceptible to mortality from parasitic sea lice from the existing salmon farm in Ballinakill Bay, would be also subject to the cumulative impact of the additional sea lice loading from the proposed MOWI/Marine Harvest salmon farm. No appropriate assessment has ever been conducted in relation to the adverse impact of the existing salmon farm, which is there already. It is suggested that Appropriate Assessment must be conducted on the cumulative effect of both salmon farms before any decision may be reached. Read More - Full Submission


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  • Management of Tagging System – Submission

    The submission from Salmon Watch Ireland in regard to the management of the Salmon and Sea Trout tagging system seeks to offer more protection to spring salmon. To this end SWIRL have suggested some targeted solutions which will effectively conserve salmon. It is essential that commercial salmon fisheries do not exploit spring salmon and that recreational anglers reduce exploitation on these ecological valuable fish.  A general tightening of the tagging system is warranted and we have suggested a number of administrative changes to help and streamline the system. It is imperative that we move to a real time online system to guage how stocks are performing.  The issue of recreational and commercial exploitation must reflect on how the magnitude of the surplus is related to the conservation limit. It is imperative that the traceability of wild commercially caught salmon is improved to tighten quota compliance. Our policy would also support a moratorium on commercial exploitation especially on rivers with a relatively low surplus. In the longer term with continued fluctuation in survival indices it may be pertinent to examine the issue of commercial exploitation and indeed recreational exploitation with a view to reducing exploitation. There would appear to be a very limited scope going forward to allow the continuation of a commercial fishery and Salmon Watch Ireland is supportive of a scheme to alleviate losses to the commercial sector. Read the full submission here


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  • Judicial Review – Update

    The Judicial Review against the decision by the Aquaculture Licence Appeal Board to award a licence for a salmon farm at Shot Head is progressing well. While we do not as yet have a date for hearing a number of important issues have been dealt with. On the 29th November a request was put forward by Bradan Teo Fanad trading as MOWI Ireland to move the case to the Commercial Court for hearing. This was subsequently allowed by the presiding judge. We await further hearings on  02 February 2022.  Proceedings dealt with by the Commercial Court must have a commercial dimension and generally must have a value of not less than €1m. MOWI Ireland are effectively claiming that they are at a loss which has a value in excess of €1m and thus their application to enter the commercial court. We will update you on a regular basis post 02 Feb 2022.  


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