Since 1981, all wild birds, their eggs and chicks have been protected under the Wildlife and Countryside Act (WCA). This means they cannot be killed, have their eggs taken or have their occupied nests destroyed unless this is done under licence.
We have been quite vociferous over licensing recently, particularly in relation to our anger at licences issued by Natural England for the destruction of buzzard nests to benefit shooting businesses. Although we have opposed the issuing of licences for the purpose of protecting game interests, we need to rely on the WCA licensing system for conservation, occasionally, too. And, in the interests of openness, I thought I’d share this information with you.
The bulk of the work we complete under WCA licences relates to ‘disturbance’ of wild birds, including those sensitive or rare species listed on Schedule 1 of the WCA. For example, armed with licences authorised staff and volunteers can: monitor the nests of declining wading birds; erect temporary fences around the nests of Montagu’s harriers in arable fields; or place nest protection cages over little ringed plover nests, or electric fencing around little tern colonies. All of this work is done to increase the breeding success of threatened bird species. We have also needed to rely on the licencing system when setting up reintroduction projects for red kites, corncrakes or cirl buntings, or when our investigators try to thwart the attempts of collectors to steal the eggs of some of our rarest birds.
In all of these cases, disturbance is temporary. And, all of this work is only done for research, educational or conservation purposes. Every year we submit a comprehensive report of all our work carried out under these licences to the licensing authority.
Occasionally, we also have to control certain bird species under licence on some of our reserves, but only after all possible management has been done but failed to provide all the conservation needs for those species of concern. In most cases, this is to recover the numbers of threatened wild birds: for example, we remove certain predators to aid the recovery of ground-nesting bird populations. We always favour approaches - such as habitat management and predator exclusion techniques – but, as a last resort, killing may sometimes be necessary.
It is certainly not an everyday tool, and it must be justified on a case-by-case basis. In line with legal requirements and our own policies, we will only contemplate predator control when predation is shown to pose a threat to species or populations of conservation concern, and is sufficiently serious to warrant action. We will also only countenance lethal control where there is no satisfactory alternative and where any control measures are restricted to the predator, are humane and are capable of reducing predation pressure.
To benefit breeding wading birds, such as black-tailed godwit or lapwing, we carry out lethal control of carrion crows on some reserves. This happens under the so-called general licence, which means – like everyone using this provision - we’re not obliged to submit records on the number of birds killed (which we think is wrong), but we keep the records anyway and here are the most recent figures we have available:
In 2011-12, 292 crows were killed on our reserves. Eleven magpies have also been killed under general licence on RSPB reserves for conservation purposes during the same period.
To protect breeding terns from predation, licensed control of herring gulls, lesser black-backed gulls and great black-backed gulls is also undertaken on specific reserves as a last resort. In 2011-12, 76 large gull nests were destroyed (mostly lesser-black-backed gull) and three adult lesser black-backed gulls were shot on RSPB reserves. Both herring and lesser black-backed gulls have an unfavourable conservation status. So we would never carry out lethal control which endangers the predator species.
We also carry out control (through egg oiling) of greylag and Canada geese on two reserves in England for aircraft safety. In 2012 this amounted to 73 greylag goose eggs and 25 Canada goose eggs. Also 195 eggs of introduced barnacle geese have been destroyed on another reserve to reduce the impact of aggressive behaviour towards nesting species of conservation concern. At one site we also oil Canada goose eggs to prevent hatching to avoidserious crop damage to a neighbouring landowner.
The licensing system for permitting disturbance or control of wildlife exists for particular problems and we believe it is legitimate to make small-scale interventions for conservation, or as the law allows. However, we remain opposed to any plan to reduce the integrity of the licensing system and make it easier to kill things in general.
Dear Greylag - obviously a point of personal relevance. The first thing I should say is that this control is undertaken irrespective of the introduced, reintroduced, feral, native, naturalised debate - it is for air safety purposes and their status is therefore irrelevant.
However, the status of greylag geese in England does seem to provoke some debate - you're right to suggest some RSPB staff maintain that they are feral!
The population stems mostly from historical releases for shooting purposes (from the 1930s onwards), no doubt with some natural recolonisation from our native population. In short, they're a bit of a mixed bag, which presumably explains why they have been labelled such a
variety of terms. But as you rightly point out, there is a native population in the UK which was formerly much more widespread, so I accept that 'introduced' wasn't the best term to use and
so have decided to remove the word form the blog.