5.8.2. Barrier Effects for Migratory Non-Seabirds
- Barrier effects are not thought likely to cause an Adverse Effect on Integrity with regards to any of the migratory non-seabird species that are features of any of the SPA or Ramsar sites screened in for assessment. The maximum barrier effect of a migratory waterbird following the perimeter of the Proposed Development array area would cause an increase of a maximum of 60 km in migration distance, representing a small percentage (12%) of the migration path from those species crossing the North Sea from Scandinavia (490 km) and to a lesser extent (5%) from the Icelandic (1,125 km) coastlines. In reality, an increase of 60 km is unlikely as birds will most likely take a path of least increase, either by flying higher or navigating around the Proposed Development array area in a more efficient manner. It should also be noted that for the majority of species their migratory start/end points are further than the nearest coastlines of Scandinavia or Iceland (as the distance above are calculated from). For many species they will migrate for over double these distances with birds breeding in Canada to the west and northern Russia to the east, so these values are overestimates of the percentage increase to each species’ overall migratory pathway. At worst, this is a small increase in total flight distance and would be insignificant compared to unsuitable wind conditions or other natural variation (Masden at al., 2010). Therefore, it is reasonable to conclude no Adverse Effect on Integrity of any SPA and Ramsar site features as a result of a barrier effect.
5.8.3. Firth of Forth SPA and Ramsar Site (Estuarine)
European site information and conservation objectives
- The Firth of Forth SPA and Ramsar site consists of numerous disjoint sites around the Firth of Forth in Scotland, UK (in the region of 55.9 – 56.2°N and 2.5 – 3.8°W) and comprising an area of 63.18 km2.
- The Firth of Forth SPA qualifies under Article 4.1 by regularly supporting populations of waterbird species as detailed below. The conservation objectives of this SPA (as determined from NatureScot’s SiteLink SPA Citation UK9004411) are:
- To avoid deterioration of the habitats of the qualifying species (listed below) or significant disturbance to the qualifying species, thus ensuring that the integrity of the site is maintained; and
- To ensure for the qualifying species that the following are maintained in the long term:
– Population of the species as a viable component of the site;
– Distribution of the species within site;
– Distribution and extent of habitats supporting the species;
– Structure, function and supporting processes of habitats supporting the species; and
– No significant disturbance of the species.
- The Proposed Development does not overlap with the Firth of Forth SPA and Ramsar site, so potential impacts on its qualifying features will only occur as a result of individuals from the SPA or Ramsar site occurring in the area (or vicinity) of the Proposed Development.
- Consequently, the focus of the assessment for this SPA population is concerned with the conservation objective to maintain or restore the populations of each qualifying feature. The other conservation objectives either apply to the site itself, and not to areas beyond the boundary, or are encompassed by the assessment of this conservation objective.
- Further information on this European site is presented in appendix 3A.
- The potential for LSE has been identified in relation to 27 of 27 qualifying features for this SPA and Ramsar site for this SPA and Ramsar site.
Project alone and in-combination: operation and maintenance
Collision risk
- Of the 27 features screened in, 14 were considered within the MSS strategic level report ( Table 5.285 Open ▸ ). Of these, the adjusted increase in baseline mortality was under the 0.95% threshold for all species except curlew ( Table 5.285 Open ▸ ). Therefore, a conclusion can be made of no Adverse Effect on Integrity with regards to the Firth of Forth SPA and Ramsar site as a result of collision risk from the Proposed Development either alone or in-combination with other plans and projects for bar-tailed godwit, common scoter, dunlin, golden plover, grey plover, long-tailed duck, oystercatcher, pink-footed goose, redshank, scaup, turnstone, velvet scoter and wigeon.
- For the remaining 13 species, lengths of migration fronts derived from the BTO SOSS Migration data for each species within the Firth of Forth SPA and Ramsar site are shown in Table 5.286 Open ▸ . The footprint length for species migrating from Scandinavia was 40 km and for Iceland 32 km. Scottish-specific data are missing for these 13 species, with data availability limitations likely to be the reason they were not considered in the MSS strategic level report. Assuming uniform migratory distributions and a 98% avoidance rate (as used within the MSS strategic level report), the proportion of the population considered vulnerable to collision was considered low, with well under 1% of the population of any feature considered vulnerable to collision (maximum 0.26% for great crested grebe). Based on this low proportion being vulnerable to collision, a conclusion can be made of no Adverse Effect on Integrity with regards to the Firth of Forth SPA and Ramsar site as a result of collision risk from the Proposed Development both alone or in-combination with other plans and projects for cormorant, eider, goldeneye, great crested grebe, knot, lapwing, mallard, red-breasted merganser, red throated diver, ringed plover, Sandwich tern, shelduck and Slavonian grebe.
Additional assessment for curlew
- For curlew, as shown in Table 5.284 Open ▸ , the Proposed Development is expected to account for 307 out of the total of 748 wind turbines on the Scottish east coast (Robin Rigg being the only west coast offshore wind farm considered in the MSS strategic level report to have been taken forward). Therefore, based on the number of wind turbines, an approximation of 41% of the collisions for this species could be attributed to the Proposed Development. On this basis, the increase in mortality compared to baseline attributed to the Proposed Development alone is 0.69%, which is below the 0.95% threshold considered for further assessment.
- Across all offshore wind farms included in the MSS strategic level report and the Proposed Development, after adjusting for the as built/as consented number of wind turbines, the predicted increase in baseline mortality is 1.67% ( Table 5.285 Open ▸ ). This value is based on an estimated avoidance rate of 98% which derived from studies of bird behaviour at onshore wind farms (NatureScot 2018, Natural England 2022b). This is likely to be highly precautionary for a wader during migration, during which time birds are known to fly at high altitudes above the likely rotor swept height (Schwemmer et al., 2021). Furthermore, the broad-front migration pattern assumed by the MSS strategic level report is unlikely to reflect the more complex migratory behaviours undertaken by many bird species; most migratory non-seabirds are likely to choose the shortest distance across open water, which means fewer individuals may interact with offshore wind farms than assumed.
- Furthermore, the approach within this report when calculating potential increases in baseline mortality is highly precautionary in comparison to the approach taken within for other consented developments. The MSS strategic level report concluded that only the wintering population is expected to be at risk from offshore wind farms on the east coast of Scotland. In their scoping representations for the revised Forth and Tay developments, NatureScot advice indicates that the approach taken within the MSS strategic level report and its subsequent outcomes can be viewed as sufficient, and therefore curlew in the wintering period would show a maximum of 0.84% increase in baseline mortality when assessed in-combination with all other sites along the Scottish east coast.
- Given that the site condition for curlew if favourable, maintained, together with the considerations outlined above, a conclusion of no Adverse Effect on Integrity with regards to the Firth of Forth SPA and Ramsar site as a result of collision risk from the Proposed Development both alone or in-combination with other plans and projects for curlew can be made.
Site conclusion
- In summary, with reference to the conservation objectives set for the features screened in for assessment, it can be concluded that there is no potential for an Adverse Effect on Integrity on any of the 27 of the migratory waterbird features of the Firth of Forth SPA and Ramsar site. This finding is in relation to potential impacts associated with the Proposed Development in any or all phases, acting alone and or in-combination with other plans and projects for migratory collision risk and barrier effects.
* Separate population sizes for curlew for the Firth of Forth SPA and Ramsar site are not available therefore the SPA population counts are presented. Passage population data is available in appendix 3A.
** Dunlin is presented as a summary of the three subspecies alpina, arctica and schinzii as all three are presented within the MSS strategic level report but seasonal population sizes for dunlin for the Firth of Forth SPA and Ramsar site are not available therefore the SPA population counts are presented. Passage population data is available in appendix 3A.
*** Redshank is presented as separate lines for subspecies as associated seasons (breeding or passage) as presented within the MSS strategic level report. Separate population sizes for redshank for the Firth of Forth SPA and Ramsar site are not available therefore the SPA population counts are presented. Passage population data is available in appendix 3A.
5.8.4. Montrose Basin SPA and Ramsar Site (Estuarine)
European site information and conservation objectives
- Montrose Basin SPA and Ramsar Site consists of two disjointed areas in Scotland, UK (in the region of 56.71 – 56.73°N and 2.47 – 2.56 °W) and comprises a total area of 9.81 km2. The Montrose Basin qualifies under Article 4.1 by regularly supporting populations of waterbird species as detailed below.
- The conservation objectives (as determined from NatureScot’s SiteLink SPA Citation UK9004031) of this SPA are:
- To avoid deterioration of the habitats of the qualifying species (listed below) or significant disturbance to the qualifying species, thus ensuring that the integrity of the site is maintained; and
- To ensure for the qualifying species that the following are maintained in the long term:
– Population of the species as a viable component of the site;
– Distribution of the species within site;
– Distribution and extent of habitats supporting the species;
– Structure, function and supporting processes of habitats supporting the species; and
– No significant disturbance of the species.
- The Proposed Development does not overlap with the Montrose Basin SPA and Ramsar site, so potential impacts on its qualifying features will only occur as a result of individuals from the SPA occurring in the area (or vicinity) of the Proposed Development.
- Consequently, the focus of the assessment for this SPA and Ramsar site population is concerned with the conservation objective to maintain or restore the populations of each qualifying feature. The other conservation objectives either apply to the site itself, and not to areas beyond the boundary, or are encompassed by the assessment of this conservation objective.
- Further information on this European site is presented in appendix 3A.
- The potential for LSE has been identified in relation to nine of nine qualifying features for this SPA and Ramsar site.
Project alone and in-combination: operation and maintenance
Migratory collision risk
- Of the nine features screened in, six were considered within the MSS strategic level report. Of these, the adjusted increase in baseline mortality was under the 0.95% threshold for all species ( Table 5.287 Open ▸ ). Therefore, a conclusion can be made of no Adverse Effect on Integrity of the Montrose Basin SPA and Ramsar site as a result of collision risk from the Proposed Development either alone or in-combination with other plans and projects for dunlin, greylag goose, oystercatcher, pink-footed goose, redshank and wigeon ( Table 5.287 Open ▸ ).
- For the remaining three species, lengths of migration fronts derived from the BTO SOSS Migration data for each species within the Montrose Basin SPA and Ramsar site are shown in Table 5.288 Open ▸ . The footprint length for species migrating from Scandinavia was 40 km and for Iceland 32 km. Scottish-specific data are missing for these three species, with data availability limitations likely to be the reason they were not considered in the MSS strategic level report. Assuming uniform migratory distributions and a 98% avoidance rate (as used within the MSS strategic level report), the proportion of the population considered vulnerable to collision was considered low, with well under 1% of the population of any feature considered vulnerable to collision (maximum 0.15% for eider and shelduck). Based on this low proportion being vulnerable to collision, a conclusion can be made of no Adverse Effect on Integrity with regards to the Montrose Basin SPA and Ramsar site as a result of collision risk from the Proposed Development both alone or in-combination with other plans and projects for eider, knot, and shelduck.
Site conclusion
- In conclusion, with reference to the conservation objectives set for the features of this site, it can be concluded that there is no potential for an Adverse Effect on Integrity on the Montrose Basin SPA and Ramsar Site. This finding is in relation to potential impacts associated with the Proposed Development in any or all phases, acting alone and or in-combination for migratory collision and barrier effects.
* Dunlin is presented as a summary of the three subspecies alpina, arctica and schinzii as all three are presented within the MSS strategic level report but seasonal population sizes for dunlin for the Montrose Basin SPA and Ramsar site are not available therefore the SPA population counts are presented. Passage population data is available in appendix 3A.
** Redshank is presented as separate lines for subspecies as associated seasons (breeding or passage) as presented within the MSS strategic level report. Separate population sizes for redshank for the Montrose Basin SPA and Ramsar site are not available therefore the SPA population counts are presented. Passage population data is available in appendix 3A.
5.8.5. Northumbria Coast SPA and Ramsar Site (Estuarine)
European site information and conservation objectives
- Northumbria Coast SPA and Ramsar Site are located within the region of 55.4°N, 1.59°W, and comprises an area of 10.97 km2. The two designations are significantly overlapped and are considered together The Northumbria Coast qualifies under Article 4.1 by regularly supporting populations of waterbird species as detailed below.
- The conservation objectives (as determined from NatureScot’s SiteLink SPA Data form UK9006131) of this SPA are:
- To avoid deterioration of the habitats of the qualifying species (listed below) or significant disturbance to the qualifying species, thus ensuring that the integrity of the site is maintained; and
- To ensure for the qualifying species that the following are maintained in the long term:
– Population of the species as a viable component of the site;
– Distribution of the species within site;
– Distribution and extent of habitats supporting the species
– Structure, function and supporting processes of habitats supporting the species; and
– No significant disturbance of the species.
- The Proposed Development does not overlap with the Northumbria Coast SPA and Ramsar site, so potential impacts on its qualifying features will only occur as a result of individuals from the SPA occurring in the area (or vicinity) of the Proposed Development.
- Consequently, the focus of the assessment for this SPA and Ramsar site population is concerned with the conservation objective to maintain or restore the populations of each qualifying feature. The other conservation objectives either apply to the site itself, and not to areas beyond the boundary, or are encompassed by the assessment of this conservation objective.
- Further information on this European site is presented in appendix 3A.
- The potential for LSE has been identified in relation to two of four qualifying features for this SPA and Ramsar site.
Project alone and in-combination: operation and maintenance
Migratory collision risk
- Of the two features screened in, one species (turnstone) was considered within the MSS strategic level report ( Table 5.289 Open ▸ ). From this, the adjusted increase in baseline mortality was under the 0.95% threshold for turnstone ( Table 5.289 Open ▸ ). Therefore, a conclusion can be made of no Adverse Effect on Integrity with regards to the Northumbria Coast SPA and Ramsar site as a result of collision risk from the Proposed Development either alone or in-combination with other plans and projects for turnstone.
- For the remaining species, purple sandpiper, lengths of migration fronts derived from the BTO SOSS Migration data for each species within the Northumbria Coast SPA and Ramsar site are shown in Table 5.290 Open ▸ . The footprint length for species migrating from Scandinavia was 40 km and for Iceland 32 km. Scottish-specific data are missing for purple sandpiper, with data availability limitations likely to be the reason they were not considered in the MSS strategic level report. Assuming uniform migratory distributions and a 98% avoidance rate (as used within the MSS strategic level report), the proportion of the population considered vulnerable to collision was considered low, with well under 1% of the population of this feature considered vulnerable to collision (0.13% for purple sandpiper). Based on this low proportion being vulnerable to collision, a conclusion can be made of no Adverse Effect on Integrity with regards to the Northumbria Coast SPA and Ramsar site as a result of collision risk from the Proposed Development both alone or in-combination with other plans and projects for purple sandpiper.
Site conclusion
- In conclusion, with reference to the conservation objectives set for the features of this site, it can be concluded that there is no potential for an Adverse Effect on Integrity on the Northumbria Coast SPA and Ramsar Site. This finding is in relation to potential impacts associated with the Proposed Development in any or all phases, acting alone and or in-combination for migratory collision and barrier effects.
5.8.6. Firth of Tay and Eden Estuary SPA and Ramsar Site (Estuarine)
European site information and conservation objectives
- Firth of Tay and Eden Estuary SPA and Ramsar site are located in the region of 56.4°N, 3.14°W, and comprises an area of 69.47 km2. The two designations are significantly overlapped and are considered together. The Firth of Tay qualifies under Article 4.1 by regularly supporting populations of waterbird species as detailed below.
- The conservation objectives of this SPA (as determined from NatureScot’s SiteLink SPA Citation UK9004121) are:
- To avoid deterioration of the habitats of the qualifying species (listed below) or significant disturbance to the qualifying species, thus ensuring that the integrity of the site is maintained; and
- To ensure for the qualifying species that the following are maintained in the long term:
– Population of the species as a viable component of the site;
– Distribution of the species within site;
– Distribution and extent of habitats supporting the species;
– Structure, function and supporting processes of habitats supporting the species; and
– No significant disturbance of the species.
- The Proposed Development does not overlap with the Firth of Tay and Eden Estuary SPA and Ramsar site, so potential impacts on its qualifying features will only occur as a result of individuals from the SPA occurring in the area (or vicinity) of the Proposed Development.
- Consequently, the focus of the assessment for this SPA and Ramsar site population is concerned with the conservation objective to maintain or restore the populations of each qualifying feature. The other conservation objectives either apply to the site itself, and not to areas beyond the boundary, or are encompassed by the assessment of this conservation objective.
- Further information on this European site is presented in appendix 3A.
- The potential for LSE has been identified in relation to 17 of 20 qualifying features for this SPA and Ramsar site.
Project alone and in-combination: operation and maintenance
Migratory collision risk
- Of the 17 features screeded in, 12 were considered within the MSS strategic level report ( Table 5.291 Open ▸ ). Of these, the adjusted increase in baseline mortality was under the 0.95% threshold for all species ( Table 5.291 Open ▸ ). Therefore, a conclusion can be made of no Adverse Effect on Integrity with regards to the Firth of Tay and Eden Estuary SPA and Ramsar site as a result of collision risk from the Proposed Development either alone or in-combination with other plans and projects for bar-tailed godwit, common scoter, dunlin, grey plover, greylag goose, Icelandic black tailed godwit, long-tailed duck, oystercatcher, pink-footed goose, redshank, sanderling, and velvet scoter.
- For the remaining five species (eider, goldeneye, goosander, red-breasted merganser, and shelduck), lengths of migration fronts derived from the BTO SOSS Migration data for each species within the Firth of Tay and Eden Estuary SPA and Ramsar site are shown in Table 5.292. The footprint length for species migrating from Scandinavia was 40 km and for Iceland 32 km. Scottish-specific data are missing for these five species, with data availability limitations likely to be the reason they were not considered in the MSS strategic level report. Assuming uniform migratory distributions and a 98% avoidance rate (as used within the MSS strategic level report), the proportion of the population considered vulnerable to collision was considered low, with well under 1% of the population of any feature considered vulnerable to collision (0.15% for eider, goldeneye, goosander, and shelduck). Based on this low proportion being vulnerable to collision, a conclusion can be made of no Adverse Effect on Integrity with regards to the Firth of Tay and Eden Estuary SPA and Ramsar site as a result of collision risk from the Proposed Development both alone or in-combination with other plans and projects for eider, goldeneye, goosander, red-breasted merganser, and shelduck.
Site conclusion
- In conclusion, with reference to the conservation objectives set for the features of this site, it can be concluded that there is no potential for an Adverse Effect on Integrity on the Firth of Tay and Eden Estuary SPA and Ramsar Site. This finding is in relation to potential impacts associated with the Proposed Development in any or all phases, acting alone and or in-combination for migratory collision and barrier effects.
* Dunlin is presented as a summary of the three subspecies alpina, arctica and schinzii as all three are presented within the MSS strategic level report but seasonal population sizes for Dunlin for the Firth of Tay and Eden Estuary SPA and Ramsar site are not available therefore the SPA population counts are presented. Passage population data is available in appendix 3A.
** Redshank is presented as separate lines for subspecies as associated seasons (breeding or passage) as presented within the MSS strategic level report. Separate population sizes for redshank for the Firth of Tay and Eden Estuary SPA and Ramsar site are not available therefore the SPA population counts are presented. Passage population data is available in appendix 3A.
5.8.7. Lindisfarne SPA and Ramsar Site (Estuarine)
European site information and conservation objectives
- The Lindisfarne SPA and Ramsar site are located within the region of 55.67°N, 1.84°W and comprises an area of 36.71 km2. The two designations are significantly overlapped and are considered together. The Lindisfarne SPA qualifies under Article 4.1 by regularly supporting populations of waterbird species as detailed below.
- The conservation objectives of this SPA (as determined from SPA Data form UK9006011) are:
- To avoid deterioration of the habitats of the qualifying species (listed below) or significant disturbance to the qualifying species, thus ensuring that the integrity of the site is maintained; and
- To ensure for the qualifying species that the following are maintained in the long term:
– The extent and distribution of the habitats of the qualifying features;
– The structure and function of the habitats of the qualifying features;
– The supporting processes on which the habitats of the qualifying features rely;
– The population of each of the qualifying features, and, No significant disturbance of the species; and
– The distribution of the qualifying features within the site.
- The Proposed Development does not overlap with the Lindisfarne SPA and Ramsar site, so potential impacts on its qualifying features will only occur as a result of individuals from the SPA occurring in the area (or vicinity) of the Proposed Development.
- Consequently, the focus of the assessment for this SPA population is concerned with the conservation objective to maintain or restore the populations of each qualifying feature. The other conservation objectives either apply to the site itself, and not to areas beyond the boundary, or are encompassed by the assessment of this conservation objective.
- Further information on this European site is presented in appendix 3A.
- The potential for LSE has been identified in relation to 16 of these 18 qualifying features for this SPA and Ramsar site.
Project alone and in-combination: operation and maintenance
Migratory collision risk
- Of the 16 features screened in, 12 were considered within the MSS strategic level report (Table 5.293). Of these, the adjusted increase in baseline mortality was under the 0.95% threshold for all species ( Table 5.293 Open ▸ ). Therefore, a conclusion can be made of no Adverse Effect on Integrity with regards to the Lindisfarne SPA and Ramsar Site on protected waterbird features during migration with respect to the Proposed Development acting alone or in combination for bar-tailed godwit, common scoter, dunlin, golden plover, grey plover, greylag goose, light-bellied brent goose, long-tailed duck, redshank, sanderling, whooper swan and wigeon ( Table 5.293 Open ▸ ).
- For the remaining four species (eider, red-breasted merganser, ringed plover, and shelduck), lengths of migration fronts derived from the BTO SOSS Migration data for each species within the Lindisfarne SPA and Ramsar site are shown in Table 5.294 Open ▸ . The footprint length for species migrating from Scandinavia was 40 km and for Iceland 32 km. Scottish-specific data are missing for these four species, with data availability limitations likely to be the reason they were not considered in the MSS strategic level report. Assuming uniform migratory distributions and a 98% avoidance rate (as used within the MSS strategic level report), the proportion of the population considered vulnerable to collision was considered low, with well under 1% of the population of any feature considered vulnerable to collision (maximum 0.20% for ringed plover). Based on this low proportion being vulnerable to collision, a conclusion can be made of no Adverse Effect on Integrity with regards to the Lindisfarne SPA and Ramsar site as a result of collision risk from the Proposed Development both alone or in-combination with other plans and projects for eider, red-breasted merganser, ringed plover, and shelduck.
Additional assessment of light-bellied brent goose
- The MSS strategic level report details two populations for Light-bellied brent goose that are migrate to or transit through Scotland, one larger population from Canada (1,900) and a smaller population from Svalbard (350). The MSS strategic level report notes that the Svalbard population is a “scarce and uncommon winter visitor”, with previous studies recording 60-150 wintering birds (Forrester et al. 2007). These two populations of significantly differing sizes, therefore, require a professional judgement call when viewing the increase in baseline mortality values used as a benchmark for assessments of other species. The outcome of the MSS strategic level report detail <1 annual collision estimates for the Svalbard light-bellied brent goose. Taking a precautionary approach the estimated value of 1 was used in estimating the increase baseline mortality making this value an overestimate due to the level of detail within the MSS strategic level report. The larger Canadian light-bellied brent goose population returned a value of 1 annual collision from the larger population size.
- Being assessed as one population, based on the MSS strategic level report, the total migratory population of light-bellied brent goose would be 2,250 with a maximum annual collision estimate of two birds. This returns an increase on baseline mortality of 0.89% based on MSS strategic level report wind turbine parameters, with an adjusted increase in baseline mortality of 0.62% accounting for as built wind turbine parameters.
- Considering that the presence of the birds from within the Svalbard population is likely to limited due to them being scarce and data quality constraints being known regarding the movements of that population, it is more reasonable to combine the two populations to assess the risk to all light-bellied brent geese. Therefore, when assessing the risk from collision mortality against the total population of light-bellied brent geese it results in an increase in baseline mortality of below the 0.95% threshold ( Table 5.293 Open ▸ ).
Additional assessment of whooper swan
- As in the MSS strategic level report, the total migratory population of whooper swan assessed is 22,000 birds in both the spring and autumn migration periods. From this the MSS strategic report estimated 83 collisions, which after adjustment for updated number of wind turbines as presented in this report resulted in a calculation of increased baseline mortality of 1.33%. However, the MSS strategic report used a precautionary avoidance rate of 98%. Recently published guidance recommends using an avoidance rate of 99.5% for swan species (Nature Scot 2018), which would theoretically result in approximately a 75% reduction in collisions. This would subsequently reduce whooper swan increased baseline mortality to less than the 0.95% threshold presented here. Whooper swan is therefore scoped out of further analysis as it is thought unlikely for there to be Adverse Effect on Integrity on this species for Proposed Development alone or in-combination.
Site conclusion
- In summary, with reference to the conservation objectives set for the features screened in for assessment, it can be concluded that there is no potential for an Adverse Effect on Integrity on the migratory waterbird features of the Lindisfarne SPA and Ramsar site. This finding is in relation to potential impacts associated with the Proposed Development in any or all phases, acting alone and or in-combination with other plans and projects for migratory collision risk and barrier effects.
* Dunlin is presented as a summary of the three subspecies alpina, arctica and schinzii as all three are presented within the MSS strategic level report but seasonal population sizes for dunlin for the Lindisfarne SPA and Ramsar site are not available therefore the SPA population counts are presented. Passage population data is available in appendix 3A.
** Redshank is presented as separate lines for subspecies as associated seasons (breeding or passage) as presented within the MSS strategic level report. Separate population sizes for redshank for the Lindisfarne SPA and Ramsar site are not available therefore the SPA population counts are presented. Passage population data is available in appendix 3A.
5.8.8. Ythan Estuary, Sands of Forvie and Meikle Loch SPA, Ythan Estuary and Meikle Loch Ramsar Site (Estuarine)
European site information and conservation objectives
- Ythan Estuary, Sand of Forvie and Meikle Loch SPA and the Ythan Estuary and Meikle Loch Ramsar site are located in the region of 57.32°N, 1.94°W and comprises an area of 70.62 km2. The two designations are significantly overlapped and are considered together. The area qualifies under Article 4.1 by regularly supporting populations of waterbird species as detailed below.
- The conservation objectives of this SPA (as determined from NatureScot’s SiteLink SPA Citation UK9002221) are:
- To avoid deterioration of the habitats of the qualifying species (listed below) or significant disturbance to the qualifying species, thus ensuring that the integrity of the site is maintained; and
- To ensure for the qualifying species that the following are maintained in the long term:
– Population of the species as a viable component of the site;
– Distribution of the species within site;
– Distribution and extent of habitats supporting the species;
– Structure, function and supporting processes of habitats supporting the species; and
– No significant disturbance of the species.
- The Proposed Development does not overlap with the Ythan Estuary, Sands of Forvie and Meikle Loch SPA and Ramsar site, so potential impacts on its qualifying features will only occur as a result of individuals from the SPA occurring in the area (or vicinity) of the Proposed Development.
- Consequently, the focus of the assessment for this SPA and Ramsar site population is concerned with the conservation objective to maintain or restore the populations of each qualifying feature. The other conservation objectives either apply to the site itself, and not to areas beyond the boundary, or are encompassed by the assessment of this conservation objective.
- Further information on this European site is presented in Appendix 3A.
- The potential for LSE has been identified in relation to four of seven qualifying features for this SPA and Ramsar site.
Project alone and in-combination: operation and maintenance
Migratory collision risk
- Of the four features screened in, two were considered within the MSS strategic level report ( Table 5.295 Open ▸ ). Of these, the adjusted increase in baseline mortality was under the 0.95% threshold for both species ( Table 5.295 Open ▸ ). Therefore, a conclusion can be made of no Adverse Effect on Integrity with regards to the Ythan Estuary, Sand of Forvie and Meikle Loch SPA and Ramsar site as a result of collision risk from the Proposed Development either alone or in-combination with other plans and projects for pink-footed goose and redshank.
- For the remaining two species (eider and lapwing), lengths of migration fronts derived from the BTO SOSS Migration data for each species within the Ythan Estuary, Sand of Forvie and Meikle Loch SPA and Ramsar site are shown in Table 5.296 Open ▸ . The footprint length for species migrating from Scandinavia was 40 km and for Iceland 32 km. Scottish-specific data are missing for these two species, with data availability limitations likely to be the reason they were not considered in the MSS strategic level report. Assuming uniform migratory distributions and a 98% avoidance rate (as used within the MSS strategic level report), the proportion of the population considered vulnerable to collision was considered low, with well under 1% of the population of any feature considered vulnerable to collision (maximum 0.15% for eider and lapwing). Based on this low proportion being vulnerable to collision, a conclusion can be made of no Adverse Effect on Integrity with regards to the Ythan Estuary, Sand of Forvie and Meikle Loch SPA and Ramsar site as a result of collision risk from the Proposed Development both alone or in-combination with other plans and projects for eider and lapwing.