“On the science alone there is evidence that culling of badgers can reduce bTB in cattle, if certain criteria are met over a sustained period. However, evidence from the RBCT suggests that the gains in terms of numbers of cattle breakdowns prevented, will vary from area to area, and will gradually return to zero once culling ceases.”
“Evidence base non-existent apart from RoI [Republic of Ireland] evidence under very different circumstances and from NZ regarding possum lethal control in Vector Risk Areas; so subject to challenge; monitoring both at cattle and badger level important...”
“There is evidence to support the ‘do nothing’ option from the RBCT (from Jenkins 2010 and subsequent updated analysis) as there was an extended but waning benefit for at least 6.5 years after culling stopped. Therefore any further intervention need to build on and therefore be better than this. Culling in the RBCT reduced badger density but led to increased movement of the remaining badgers (perturbation). With sufficient population reduction from proactive culling, it is hypothesised that the increased opportunities for transmission thought to arise from perturbation were balanced out, resulting in a net disease benefit. Adding maintenance culling where the population has been substantially lowered, one would expect to maintain or prolong the disease control benefit (although there is no direct evidence for this). If the previous proactive cull had been less effective, resulting in more moderate population decrease, it is possible that maintenance culling will not prolong the disease control benefits, and could even shorten them if it acts to further disrupt the remaining badgers. We don’t know what the population density threshold is where the reduced population level outweighs the increased risks from perturbed badgers… It is possible that after a proactive cull the situation in culled areas becomes more similar to the situation in the Republic of Ireland, but there are other ecological differences other than just population density that make this a difficult comparison to make.”
“At this point we’re keen to confirm the key policy principles…”
“Who are the science experts that we’ve consulted? – I think we need this to be a very credible set of people with expertise in badger behaviour that we can defend. Hopefully we have that between [Natural England] and APHA.”
“The CVO [Chief Veterinary Officer] and my Chief Scientific Adviser’s clear advice is that enabling this form of supplementary badger control is rooted in essential disease control” and that “continued action to control the infection in the badger population is vital”
“3.2 We know from the Randomised Badger Culling Trial (RBCT) that disease control benefits persisted for at least 7.5 years after the last cull operation. As no further badger control measures were put in place, over this time the reduced incidence of confirmed TB breakdowns in cattle within cull areas gradually returned to a level comparable to that within control areas where culling had not taken place. 3.3 This is likely to be explained by a recovering badger population with continued TB infection. The badger population will have recovered through breeding and immigration and some of this recovered population will be infected with TB...”
“3.5. Licensed badger vaccination has a role to play…Deployment of the injectable vaccine continues to be hampered by supply issues. Potential new vaccine deployment methods such as an oral bait BCG vaccine remain at the experimental stage, are not guaranteed to be successful, and are at least 8 years away. However, if and when more efficient and cheaper deployment options for badger vaccine are available, they may offer an effective and time efficient means of replacing culling.”
“3.10. There is no evidence on the effects of longer-term control of badgers in areas that have completed a four-year culling period. From the RBCT we know that the benefits of reduced disease in cattle erode over time from the end of culling operations. Maintaining the badger population at the level achieved by a minimum 4-year culling operation is the only available means of maintaining the reduced potential for infectious contacts between badgers and cattle. 3.11. The risk of potential perturbation effects as a result of disturbed badger social groups and increased disease transmission to cattle are expected to have been manifested primarily in the first year of a 4-year badger population control operation. This risk should be much lower during supplementary badger control as the badger population in that area will be much smaller and territorial social groups are not expected to reform for several years after cessation of culling.”
“6.1 Our proposal is designed to enable farmer-led licensed supplementary badger control in order to maintain disease control benefits in areas where successful culls have been completed over at least 4 years. We invite views on how this proposal can be made as effective as possible. We would particularly welcome views on the following specific issues: A: The proposed approach to licensing – including the conditions of licensing, the discretion in Natural England’s decision-taking and the licence period. B: The proposed plans to ensure badger welfare is maintained, including views on the most appropriate time limit for badger control within the open season. C: How Natural England should evaluate the effectiveness of supplementary badger control over the five-year licence period to ensure that it meets the aim of keeping the population at the level required to ensure effective disease control benefits are prolonged. 6.2 Please provide any additional comments which you feel are relevant but not captured by the questions above.”
“Defra’s plan to license further culls moves away from the empirical evidence that it used to justify its culling policy. In the Randomised Badger Culling Trial, the greatest reductions in cattle TB were observed after culling ended. At the time, scientists tentatively linked these improvements to the cessation of culling, and how this was likely to have affected the behaviour of the remaining badger population. In considering whether prolonged culling might have achieved the same reductions, they emphasised that “It is… not possible to predict how culling over different periods of time, or at different intervals, would have influenced the results”
“69. Those who addressed the principle of supplementary culling, whether supporting or opposing it, included several individuals or organisations who would be considered experts or knowledgeable about the subject by virtue of their membership of professional bodies, research interests or employment or practical experience. Many respondents who supported or opposed the proposal offered well-informed opinions, as demonstrated by their responses, which referenced ecological, biological, epidemiological and other badger-related or bTB-related studies, and offered reasoned arguments. Their responses showed an understanding of the complex, scientific background to this policy area, and many felt able to address the alternatives to the proposal being consulted on. All consultation responses were taken into account prior to a final decision being reached. 70. The responses were considered by the TB policy team and, where necessary, the TB evidence team was asked to examine those responses which included scientific or other evidence-based material. No new or compelling evidence was put forward by consultees which persuaded Defra to change its views.”
“These supplementary culls maintain disease control benefits in an area after completion of the four-year ‘intensive’ culls.”
“2.3. Many respondents made general comments about badger control and disagreed with the proposal because they are opposed in principle to culling badgers to reduce the incidence of TB in cattle, without commenting on the specifics of the proposed policy. Comments that expressed opposition to the policy of supplementary culling itself centred around two main themes: 1) Some questioned the scientific rationale behind supplementary culling and the general applicability of the Randomised Badger Culling Trial (RBCT). 2) Some suggested that there is insufficient evidence of the benefits of culling on the incidence of bovine TB in cattle to merit supplementary culling. Some of these responses suggested that: • Other disease control methods should be explored further, such as vaccination, biosecurity and improved cattle testing regimes and stricter cattle movement controls. • The approach to wildlife control in other countries should not be used to support badger culling in England due to the differences in the species involved. Many respondents, including those who disagreed with culling policy, acknowledged the impact that dealing with bovine TB has on farmers, their businesses and the beef and dairy industries overall.”
“12. The most scientifically parsimonious method which can be used to avoid this negative effect is to continue to keep badger populations at a reduced level, requiring that badgers continue to be culled in future in order to prevent the badger population from returning to its pre-cull levels… 14. I emphasised that our approach needs to be driven by data, as there is uncertainty about the effect of intensive culling. Therefore, my advice was that data should be collected on the disease in both badgers and cattle in cull areas, and the ongoing analysis of the epidemiology in the cull zones relative to unculled areas would inform the development of policy. It was, however, also important for Defra to avoid being in a position where it could not move forward with a new, or modified, policy unless it had carried out an experiment beforehand. I considered that Defra needed to adopt different approaches based on what it knew at the time, and then to modify those approaches based on outcomes.”
“Badgers are known to predate birds… However, other predators such as foxes, hedgehogs, small mustelids and some species of bird also predate the nests of ground nesting birds, and such species may benefit from a reduction in competition following a [cull]. If following the removal of badgers it is only the surplus that are taken by other predators, then the overall level of predation on ground nesting birds could be expected to remain constant. However, as a result of mechanisms such as meso-predator release…there is a possibility that predators that compete with the badger, particularly foxes and hedgehogs, could increase in abundance substantially, thereby exerting a greater overall predation pressure on ground nesting birds.” (iii) the FERA report of January 2011, which under the heading “Characterisation of potential impacts of badger control on the ecosystem” considered direct and indirect effects. The direct effects included disturbance through shooting and the associated vehicle movements and footfall. As to indirect effects regarding ground nesting birds, the report noted (a) the RBCT finding that meadow pipit and skylark populations remained constant in culled areas but cautioned that there might be unmeasured environmental factors at work; (b) an RSPB study into curlew breeding success in Northern Ireland, which found that 90% of nest failures were due to predation, with foxes identified as the main species involved; and (c) a study conducted on the South Downs in which grey partridge populations were found to be 2.6 times higher after three consecutive years of predator control. In this regard it concluded: “Removal of badgers during the RBCT precipitated change in the abundance of species that may have a greater and more direct role in the predation of ground nesting birds than badgers.”
“Possible negative impact from an increase in fox predation of eggs and chicks in nests on ground. However, reduction in predation pressure from badgers.”
“10…(2) A licence may be granted to any person by the appropriate Minister authorising him, notwithstanding anything in the foregoing provisions of this Act, but subject to compliance with any conditions specified in the licence – (a) for the purpose of preventing the spread of disease, to kill or take badgers, or to interfere with a badger sett within an area specified in the licence by any means so specified…” (a) for the purpose of preventing the spread of disease, to kill or take badgers, or to interfere with a badger sett within an area specified in the licence by any means so specified…”
“(1) The environmental protection mechanism in article 6(3) is triggered where the plan or project is likely to have a significant effect on the site's conservation objectives: see Landelijke Vereniging tot Behoud van de Waddenzee v Staatssecretaris van Landbouw, Natuurbeheer en Visserij (Case C-127/02 ) [2005] All ER (EC) 353, 1279 para 42 (Waddenzee). (2) In the light of the precautionary principle, a project is likely to have a significant effectso as to require an appropriate assessment if the risk cannot be excluded on the basis of objective information: see Waddenzee, at para 39. (3) As to the appropriate assessment, appropriate indicates no more than that the assessment should be appropriate to the task in hand, that task being to satisfy the responsible authority that the project will not adversely affect the integrity of the site concerned. It requires a high standard of investigation, but the issue ultimately rests on the judgment of the authority: R (Champion) v North Norfolk District Council[2015] 1 WLR 3710 , para 41 per Lord Carnwath JSC. (4) The question for the authority carrying out the assessment is: what will happen to the site if this plan or project goes ahead; and is that consistent with maintaining or restoring the favourable conservation statusof the habitat or species concerned?: see the opinion of Advocate General Sharpston in Sweetman v An Bord Pleanála (Galway County Council intervening) (Case C-258/11 )[2014] PTSR 1092 , point 50. (5) Following assessment, the project in question may only be approved if the authority is convinced that it will not adversely affect the integrity of the site concerned. Where doubt remains, authorisation will have to be refused: see Waddenzee, at paras 56-57. (6) Absolute certainty is not required. If no certainty can be established, having exhausted all scientific means and sources it will be necessary to work with probabilities and estimates, which must be identified and reasoned: see Waddenzee, points 107 and 97 of the Advocate General's opinion, endorsed in Champion's case, at para 41, and by Sales LJ in Smyth v Secretary of State for Communities and Local Government[2015] PTSR 1417 , para 78. (7) The decision-maker must consider secured mitigation and evidence about its effectiveness: European Commission v Federal Republic of Germany (Case C-142/16 ) EU:C:2017:301, para 38. (8) It would require some cogent explanation if the decision-maker had chosen not to give considerable weight to the views of the appropriate nature conservation body: R (Hart District Council) v Secretary of State for Communities and Local Government[2008] 2 P & CR 16 , para 49. (9) The relevant standard of review by the court is the Wednesbury rationality standard (Associated Provincial Picture Houses Ltd v Wednesbury Corpn[1948] 1 KB 223 ) and not a more intensive standard of review: see Smyth's case, at para 80.”
“Where Natural England is the competent authority under the Habitats Regulations when either undertaking or permitting plans or projects which may affect European Sites, it will be mandatory for a HRA to be undertaken by its staff and for this to be fully recorded and readily accessible [emphasis in original]. Its HRAs will be clear, transparent, fully-reasoned and evidence-based with a comprehensible and logical narrative throughout. Each HRA will firstly include an initial assessment of risk and the careful screening of the plan or project for likely significant effects if it is not wholly connected with or necessary to the management of the site for its European qualifying features. Secondly, if significant effects cannot be ruled out, the HRA will also include a detailed and evidence-led appropriate assessment in order to reach clear conclusions about the effects of the proposals on site integrity. The HRA will clearly record the process and the justification for the judgements and decisions it makes.”
“76. If the competent authority can be sure from the information available at the preliminary screening stage (including information about preventive safeguarding measures) that there will be no significant harmful effects on the relevant protected site, there would be no point in proceeding to carry out an “appropriate assessment” to check the same thing. It would be disproportionate and unduly burdensome in such a case to require the national competent authority and the proposer of a project to undergo the delay, effort and expense of going through an entirely unnecessary additional stage”