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Nagagami Forest - Independent Forest Audit 2007 - 2012
KBM Forestry Consultants Inc. i
TABLE OF CONTENTS
1 Executive Summary ............................................................................................................ iii
2 Table of Recommendations ................................................................................................ 1
3 Introduction ........................................................................................................................ 2
3.1 Audit Process ....................................................................................................................... 2
3.2 Management Unit Description ............................................................................................... 2
3.3 Current Issues ..................................................................................................................... 4
3.4 Summary of Consultation and Input to Audit .......................................................................... 4
4 Audit Findings ..................................................................................................................... 5
4.1 Commitment ........................................................................................................................ 5
4.2 Public Consultation and Aboriginal Involvement ...................................................................... 5
4.3 Forest Management Planning ................................................................................................ 7
4.4 Plan Assessment and Implementation .................................................................................... 8
4.4.1 Plan Assessment ............................................................................................................... 8
4.4.2 Areas of Concern .............................................................................................................. 8
4.4.3 Harvest ............................................................................................................................ 8
4.4.4 Silviculture ..................................................................................................................... 10
4.4.5 Access ........................................................................................................................... 12
4.5 System Support .................................................................................................................. 12
4.6 Monitoring ......................................................................................................................... 12
4.6.1 Compliance .................................................................................................................... 12
4.6.2 Year 10 Annual Report .................................................................................................... 13
4.7 Achievement of Management Objectives and Sustainability ................................................... 15
4.7.1 Achievement of Management Objectives .......................................................................... 15
4.7.2 Forest Sustainability ........................................................................................................ 15
4.8 Contractual Obligations ....................................................................................................... 15
4.9 Conclusions and Licence Extension Recommendation ........................................................... 16
Appendix 1 – Recommendations ............................................................................................. 17
Appendix 2 – Management Objectives Tables ........................................................................ 30
Appendix 3 – Compliance with Contractual Obligations ......................................................... 32
Appendix 4 – Audit Process ..................................................................................................... 34
Appendix 5 – List of Acronyms ................................................................................................ 38
Appendix 6 – Audit Team Members and Qualifications .......................................................... 39
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LIST OF TABLES
Table 1. Recommendations and Best Practice .............................................................................. 1
Table 2. Silvicultural Success vs. Regeneration Success ............................................................ 13
Table 3. Summary of the Status of the 2006-26 FMP Objectives .............................................. 30
Table 4. Compliance with Contractual Obligations ..................................................................... 32
Table 5. IFA Procedures Selected by the Audit Team ................................................................. 35
Table 6. Audit Sampling Intensity................................................................................................ 36
LIST OF FIGURES
Figure 1. Location of the Nagagami Forest ................................................................................... 3
Figure 2. Proportion of Provincial Forest Types on the Nagagami Forest ................................... 4
Figure 3. Volumes (m3) reported for the Forest during the audit term ...................................... 9
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1 EXECUTIVE SUMMARY
All Crown forests in Ontario are required to be audited at least every five years. The requirement for independent audits arises from MNR's Class Environmental Assessment Approval for Forest Management
on Crown Lands in Ontario (2003). Regulation 160/04 of the Crown Forest Sustainability Act (S.O. 1994,
c. 25) (CFSA) sets out the specific requirements for conducting the audits.
This report documents the results of the Independent Forest Audit (IFA) of the Nagagami Forest (the
Forest) conducted by KBM Forestry Consultants Inc. (KBM) covering the five-year period April 1, 2007 to March 31, 2012. Two forest management plans are included in the scope of this audit. Specifically,
implementation of the last three years of the 2006-26 FMP, and planning and approval of the 2011-21 FMP as well as its implementation for the first two year period of its term. During the audit term the
Forest was managed under a Sustainable Forest Licence held by Nagagami Forest Management Ltd.
(NFM), a cooperative of wood commitment holders on the Forest. Day to day administration is conducted by Jackfish River Management Ltd. (JRM), under contract to NFM. The principal auditees were
NFM and the Ontario Ministry of Natural Resources (MNR) Wawa District Office.
The audit team identified one best practice for the analysis of renewal outcomes on the Forest and made
seven recommendations. Two recommendations each were directed at NFM and MNR Wawa District, two
were directed at both NFM and MNR, and one was directed at Corporate MNR. Recommendations arise from the audit team’s observations of material non-conformances and identification of situations in which
there is a significant lack of effectiveness in forest management activities. All audit recommendations must be addressed in an action plan and the status of the action items must be reported within two years
of approval of the audit action plan.
A summary of the recommendations is provided here.
Wawa District MNR must continue efforts to work with area First Nations to update values maps and
background information reports.
A written decision regarding a proposed new road was made by the Regional Director under the issue
resolution process; however, it lacked an analysis of alternatives and a clear rationale for the choice of the preferred route; documentation that is normally provided in an FMP. This may be the result of a lack
of sufficient guidance in the Forest Management Planning Manual when utilizing the issue resolution
process for making such decisions. A recommendation was made to Corporate MNR to review this possibility.
Improvement is required in on-the-ground practices to ensure that a sufficient amount of large, live wildlife trees remain following aerial herbicide spraying. Regeneration data suggests that the presence of
balsam fir is increasing on the Forest. Harvesting practices and less reliance on mechanical site
preparation may be contributing to such an increase. This is a concern from a forest health perspective given the susceptibility of balsam fir to spruce budworm attack and a recommendation was made to
study and report on this potential problem. A supporting recommendation was made for NFM to investigate the costs and benefits of increasing the use of mechanical site preparation and prescribed
burning.
During the latter part of the audit term conifer was being topped in excess of what is permitted under the
Scaling Manual and the 2006-26 FMP. As a result, there is an inventory of merchantable conifer fibre
contained in slash piles. NFM plans to utilize the material in a cogeneration plant currently under construction; however, MNR had not approved the larger topping standard. A recommendation that MNR
and NFM reach an agreement on addressing the unutilized merchantable conifer was made. A related recommendation dealt with the fact that the unutilized merchantable conifer fibre had not been reported
as an Operational Issue by NFM during compliance reporting.
The audit team found that forest sustainability is being achieved. While harvest levels are depressed due to challenging market conditions, this does not appear to be a significant threat to sustainability at this
time. During the previous audit term the Nagagami Forest had one of the highest harvest area utilization
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KBM Forestry Consultants Inc. iv
levels in the Province and the current under-harvest does not constitute a trend. Modelling was verified
by the audit team and the long term management direction is sustainable.
Overall, management objectives are being met, although social objectives associated with full harvest of
the available harvest area are not currently being met. The silviculture program is keeping up with
harvest levels and the forest managers have detailed on-the-ground knowledge of the Forest and its management. The audit team’s concern over a possible increase in the balsam fir component on the
Forest due to operational practises is based on observation; firm data needs to be collected to know conclusively if there is real cause for concern. Slash has been an ongoing challenge; however,
Haavaldsrud Timber Co. has risen to the challenge with construction of the Becker cogeneration plant, which should lead to significant improvement in the use of slash and unmarketable fibre. Regeneration
success rates are very high, although silvicultural success rates are approximately 60%, the latter being a
function of how silviculture success is defined in the Forest Management Planning Manual. The regeneration that is developing will most certainly lead to a viable forest. Access, harvest and silviculture
operations are generally well executed and the environment is being protected during plan implementation.
Management of the unit was generally in compliance with the legislation, regulations and policies in effect
during the audit term. NFM was in compliance with most of the conditions of the SFL. There were two exceptions, the most significant being arrears of approximately $3 million for outstanding Crown dues
(stumpage), Forestry Futures Trust contributions and Forest Renewal Trust Account contributions; all due to extremely challenging market conditions. NFM and MNR have signed and are implementing a
repayment agreement. The field evidence collected by the audit team indicates that silvicultural liabilities are not a concern. Forest sector markets are forecasted to improve and the Terrace Bay pulp mill has
resumed operations. These trends suggest that the repayment plan should be viable.
The second exception is associated with conifer utilization. NFM implemented a topping standard for conifer that was not approved by MNR. This has led to an issue of merchantable conifer fibre being left
at roadside that must be addressed. This and the associated compliance reporting issue identified during the audit are not considered a threat to forest sustainability.
As a result of the outcome of the audit, the audit team recommends the Minister extend the term of
Sustainable Forest Licence 550047 for a further five years.
Rod Seabrook EP(EMSLA)
Lead auditor on behalf of the audit team
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2 TABLE OF RECOMMENDATIONS
Table 1. Recommendations and Best Practice
Recommendation on Licence Extension
The audit team concludes that management of the Nagagami Forest was generally in compliance with
the legislation, regulations and policies that were in effect during the term covered by the audit, and the Forest was managed in compliance with the terms and conditions of the Sustainable Forest Licence
held by Nagagami Forest Management Ltd. Forest sustainability is being achieved, as assessed through the Independent Forest Audit Process and Protocol. The audit team recommends the Minister
extend the term of Sustainable Forest Licence 550047 for a further five years.
Best Practice: the analysis of forest renewal outcomes conducted by JRM in conjunction with MNR is a best practice.
Recommendations Directed to SFL Holder/MNR District
Recommendation 1: MNR engage Ginoogaming, Constance Lake and Pic Mobert First Nations to
conduct values mapping and prepare Aboriginal background information reports and contact
Hornepayne Aboriginal Community to update their values maps and background information report.
Recommendation 3: NFM ensure that, where possible, a component of large live conifer trees are
left in harvest blocks where herbicide treatment is likely.
Recommendation 4: NFM, with the technical assistance of MNR, conduct a study on the effect of stand and site conditions, harvest method and treatment type on the content of balsam fir in the
future forest condition, and that the NFM report on its findings in the Annual Report following completion of the study.
Recommendation 5: MNR Wawa District and NFM come to an agreement on the conifer utilization
associated with topping in excess of 10 cm diameter that will, as a minimum, specify precisely:
what merchantable material that has been left unutilized without authorization will be
recovered for use and the Crown charges that will apply on this material, and
what merchantable material that has been left unutilized without authorization is beyond
recovery for economic or other reasons, and the Crown charges that will apply on this material.
Recommendation 6: NFM investigate the costs and benefits of increased productivity and reduced
balsam fir composition through the use of mechanical site preparation and prescribed burns by establishing and monitoring trials within the next two years.
Recommendation 7: NFM and MNR Wawa District review compliance reporting practices and ensure
that there is a clear understanding and consistent application of the concept of Operational Issues associated with compliance inspection reporting requirements.
Recommendations Directed to Corporate or Regional MNR
Recommendation 2: Corporate MNR review Part A, Section 3.4.1 of the FMPM and ensure that its wording is clear that decisions made as a result of the issue resolution process must also meet the
requirements of the forest management planning process.
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3 INTRODUCTION
3.1 Audit Process
Independent Forest Audits (IFAs) are a requirement of the Crown Forest Sustainability Act (S.O. 1994, c.
25) (CFSA). Every forest management unit in Ontario must be audited by an independent audit team at
least once every five years.
KBM Forestry Consultants conducted an independent forest audit on the Nagagami Forest for the five-
year period April 1, 2007 to March 31, 2012. The audit assessed implementation of the 2006-26 Forest Management Plan (FMP) for the period April 1, 2007 to March 31, 2011 as well as the planning and
approval of the 2011-21 FMP and the first year of its implementation (i.e. April 1, 2011 to March 31, 2012). The on-site portion of the audit occurred from September 17-21, 2012 inclusive, with document
examination and interviews taking place prior to, during, and subsequent to this period. During the audit
term the Forest was managed by Nagagami Forest Management Ltd. (NFM) under SFL No. 550047. Both NFM and the Ontario Ministry of Natural Resources (MNR) Wawa District were the principal auditees.
IFAs are governed by eight guiding principles as described in the Independent Forest Audit Process and Protocol (IFAPP). Recommendations arise from audit team observations of material non-conformances
and identification of situations in which there is a significant lack of effectiveness in forest management
activities. All recommendations made in this report are correspondingly described in full in Appendix 1 and summarized above in Section 2. Reviews of the achievement of objectives and contractual
obligations are summarized in Appendices 2 and 3, respectively.
More detailed information on the audit process, including the sampling intensity, is provided in Appendix
4. A list of acronyms is presented in Appendix 5. Audit team members and their qualifications are presented in Appendix 6.
3.2 Management Unit Description
The following description of the Forest is based primarily on material included in the 2011-21 FMP for the Nagagami Forest.
The current administrative boundaries of the Nagagami Forest were established in 1991, following the re-organization of the MNR District and Regional administrative boundaries. The entire Nagagami Forest
area now falls within the MNR Wawa District, Northeast Region. The town of Hornepayne is located
within the Forest on Secondary Highway 631 which provides access through the central portion of the Forest from Highway 11 to the north to Highway 17 to the south (see Figure 1). Major centres to the
east and west are Sault Ste. Marie and Thunder Bay, respectively.
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Figure 1. Location of the Nagagami Forest
In April 2004, the Nagagami Forest S.F.L. was transferred to NFM from Abitibi-Consolidated Company of
Canada. NFM was previously a co-operative of several shareholders but due to mill shutdowns and
bankruptcies it has been reduced to a single shareholder: Olav Haavaldsrud Timber Company. Jackfish River Management Ltd. (JRM) is the management contractor who acts on behalf of NFM regarding the
administration of the Nagagami Forest, including forest management planning and operations. Road building and logging operations are undertaken by logging operators such as Olav Haavaldsrud Timber
Co. Ltd., Kenogami Lake Lumber Ltd., Columbia Forest Products – Levesque Division, and Kabi Lake Forest Products Ltd.
The Nagagami Forest has a total forested area of 448,389 hectares. This area includes water, non-
forested land and productive forest land. The majority of the area (99%) is Crown Land subject to forest management planning and forest management operations.
Most of the Forest is located within the Arctic watershed, with waters flowing north to Hudson Bay. The watersheds generally flow in a northeast direction following the topography of the underlying bedrock.
Soils in the Nagagami Forest are the result of glacial and postglacial events. The clay soils of the claybelt
to the north have been derived from sediments deposited by post-glacial Lakes Barlow and Ojibway. Peat and organic soils, overlying the marine sands and clays, resulted from the deposition of vegetative
matter in association with poorly drained land.
The forest represents a total of seven forest units by provincial forest types: Lowland Conifer (MCL),
Upland Conifer (MCU), Poplar (POP), Mixedwood (MIX), Jack Pine (PJK), White Birch (BWT), and White and Red Pine (PRW). MCL forest type covers the largest forest area, followed by MCU and POP forest
types. PRW forest represents only 19 hectares, less than 1% of the productive forest (see Figure 2).
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Figure 2. Proportion of Provincial Forest Types on the Nagagami Forest
3.3 Current Issues
The IFAPP requires a review of High Priority Aspects (HPAs) of the auditees’ systems or activities. These
are areas of potential focus during the audit related to key issues or management challenges arising during the audit term. Five HPAs were included in the Audit Plan, as follows:
1. The 2007 IFA found that MNR Wawa District had completed a minimal number of compliance inspections during two years of the audit term. The audit team viewed the shortfall as a lack of commitment by MNR. The audit team examined whether improvement has been made in this regard.
2. Issue resolution was utilized during approval of the Mosambik Road. The District Manager had accepted the proposal of the planning team; however, the decision was appealed to the Regional Director who, in turn, supported an alternative proposal. The audit team examined conformity to the process and the effectiveness of the outcome. In addition, the audit team reviewed the status of actions to address recommendations associated with access from the previous IFA.
3. The previous IFA identified the overall need for improved forest inventory maintenance. Issues were found with free to grow assessments and barren and scattered and depleted stands amounted to approximately 20% of the production forest landbase. Recommendations were made in both the 2002 and 2007 IFAs. The audit team examined progress in this area.
4. The SFL holder currently owes almost $3 million in Crown dues, Forest Renewal Trust charges and Forestry Futures Trust charges. The audit team examined the reasons for the shortfalls and plans and actions to address them.
5. Poor markets for conifer and hardwood pulpwood have created challenges for the forest manager. The audit team examined harvest allocation strategies, utilization practices and potential implications for silviculture.
3.4 Summary of Consultation and Input to Audit
KBM used several different strategies for encouraging input to the audit process. Letters, including a one-page survey, were mailed to numerous stakeholders advising of the audit. The survey was also
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available to the general public on the KBM website (www.kbmrg.com). A summary of the methods and
input is provided in Appendix 4.
4 AUDIT FINDINGS
4.1 Commitment
Forestry services for NFM are provided by JRM. Posters were visible throughout the JRM’s office outlining the company’s commitment to sustainable forest management and environmental protection, and the
commitments are recognized by JRM’s employees. Staff is provided copies of the company’s stated commitment to sustainability upon the beginning of their employment. These statements are also
included with all of the contracts JRM has with harvesting and silviculture contractors. Statements are reviewed with contractors prior to starting work each year or at the beginning of the Annual Work
Schedule (AWS).
All staff members interviewed appeared knowledgeable about the applicable legislation and policies, with one exception. Company Forest Operations Information Program (FOIP) inspectors did not report
Operational Issues associated with topping of conifer in excess of permissible limits (see Recommendations 5 and 7).
4.2 Public Consultation and Aboriginal Involvement
The establishment of the Nagagami Forest LCC was consistent with the requirements of the 2009 FMPM. The membership of the current LCC represents a range of interests in the Forest including the timber industry, trappers, remote tourism operators, bear baiters, anglers/hunters, the general public, and cottage owners. A list of current LCC members, a recommendation from the previous IFA, proved to be useful in contacting members. The purpose of the LCC is incorporated into the LCC Terms of Reference.
All LCC members were invited to participate in the Nagagami Forest IFA through mail-out, e-mail, and follow-up phone calls. Out of 12 active members four responded - 33% of the current membership - and
represented a range of interests on the forest. Comments pertaining to the LCC were generally quite
supportive of the Committee. While members clearly have opposing interests with regard to the Forest, it does not take away from the fact that the LCC is functioning effectively.
Many are long-standing members and have actively participated in the development of several Forest Management Plans. This experience is valuable to the Nagagami Forest LCC. However, recruiting new
membership has been cited as a potential issue. The community of Hornepayne is isolated from
surrounding towns and has a relatively small population from which to draw new members. As a potential solution to this issue, the idea of a regional LCC was discussed with those who responded.
Some were supportive of the idea and felt that a regional LCC would help with recruitment and limiting conflict of interest within the Committee, while others were not supportive. MNR Wawa District may wish
to discuss the merits of a regional LCC with the LCC.
Access restrictions and remote tourism continue to be a significant source of discussion on the Forest, as
observed in a review of the minutes and interviews. Many are awaiting the outcome of the Crown Land
Use Atlas Harmonization (CLUAH) project1 to see if these concerns have been addressed.
The technical nature of forest management was described as a barrier to meaningful participation on the
LCC; however, training opportunities do exist for members. MNR should continue with these efforts and encourage members to participate.
There were nine resource-based tourism operators in the Nagagami Forest. JRM provided copies of
1 The MNR Wawa District, with participation and input from the public and a broad range of stakeholders, is
reviewing existing land use direction for unregulated provincial Crown lands and waters. Their objective is to ensure the balance of social, economic, and ecological sustainability, and to reduce access conflicts in other district planning processes.
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letters sent to tourism operators regarding the Resource Stewardship Agreement (RSA) process.
Discussions on RSAs began but were never concluded. Tourism operators did not proceed with negotiations because they felt that their interests were protected with the existing prescriptions and a
separate process was not required.
There are five Aboriginal Communities adjacent to the Nagagami Forest management unit: Hornepayne Aboriginal Community, Constance Lake First Nation, Ojibways of the Pic River First Nation, Ginoogaming
First Nation and Pic Mobert First Nation. The audit team held in-person discussions with representatives of all the Aboriginal communities with the exception of Pic Mobert First Nation, which declined the
invitation to participate. Interviewees reported that they had an amicable working relationship with MNR representatives. Three of the First Nations felt that MNR could make greater efforts at consultation. They
acknowledged, however, that internal capacity issues impeded their ability to respond to MNR
correspondence, to assist with community consultations and to generally participate in the FMP process. Four of the First Nations did not have values maps or Aboriginal Background Information Reports
completed and expressed interest in completing these documents. Although Hornepayne Aboriginal Community had completed values maps and a Background Information Report, the information was
dated. The interviewee expressed an interest in updating the documents. See Appendix 1 for more
information.
Recommendation 1: MNR engage Ginoogaming, Constance Lake and Pic Mobert First Nations
to conduct values mapping and prepare Aboriginal background information reports and contact Hornepayne Aboriginal Community to update their values maps and background
information report.
A common response from all Aboriginal communities interviewed was that although MNR may be meeting
all the required regulations, the regulations themselves are inadequate, treating Aboriginal communities
like a stakeholder and not acknowledging that the forests were part of their homeland.
Condition 34 reports for the audit period were provided and detailed a number of activities undertaken by
MNR intended to provide Aboriginal communities with greater opportunities to participate in the benefits provided through forest management planning. Despite these efforts Aboriginal communities felt that
they were not provided adequate opportunities to benefit or opportunities to negotiate their involvement.
These differing perceptions of the efforts and actual benefits to Aboriginal communities from forest management planning are concerning. It is suggested that MNR engage in discussion with Aboriginal
communities on how they wish to participate in the benefits provided through forest management planning.
As per the FMPM requirements, MNR sent letters to the Aboriginal communities six months prior to the
commencement of the formal public consultation process, inviting them to participate in the preparation of the FMP and to develop a specialized consultation approach. None of the communities chose this
option; however, most have completed or are developing consultation protocols for their community. MNR should engage with the communities in dialogue to determine how the community consultation
protocols can be accommodated using a specialized consultation approach. There were no Aboriginal community representatives on the planning team or the LCC.
Issue resolution is a process available to parties in the event of unresolved issues during preparation of
an FMP. One issue, the Mosambik primary road, went to issue resolution using the process prescribed in Part A, Section 3.4.1 of the FMPM. The issue remained unresolved at Step 7 in the process and the
District Manager (DM) provided a written decision in accordance with the requirements of the FMPM. The audit team found the DM’s decision to be sound and his rationale to be clear.
The concerned party remained unsatisfied and requested a review of the DM’s decision by the Regional
Director (RD), as permitted by the FMPM. This process continued unresolved to Step 11, at which time the RD provided her written decision with reasons.
The audit team found the RD’s statement of decision to be lacking in two ways. Firstly, there was no documentation of the analysis that led to the selection of the preferred alternative (as required by the
FMPM). Secondly, the RD failed to provide a clear rationale for her decision. See Appendix 1 for more information.
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Recommendation 2: Corporate MNR review Part A, Section 3.4.1 of the FMPM and ensure
that its wording is clear that decisions made as a result of the issue resolution process must also meet the requirements of the forest management planning process.
4.3 Forest Management Planning
Forest Management Plan
Modelling for the 2011-21 FMP was reviewed and found to be complete and accurate. Modelling
assumptions were reasonable and based on current information. The planning team completed all FMPM requirements for the modelling checkpoints for the plan.
Values maps (excluding Aboriginal values maps – see Recommendation 1) were updated by MNR during planning. Survey flights for moose aquatic feeding areas (MAFAs) and stick nests took place in 2008 and
2009, resulting in 175 updates (additions and deletions) to the data base. Accuracy of the updates was
confirmed during the audit through a check of several entries. Fisheries data is from surveys conducted in the 1970s and 1980s with updating occurring on an ad hoc basis. Unknown fisheries receive cold
water timing restrictions. Values receiving protection through an Area of Concern (AOC) prescription include MAFAs, stick nests (e.g. eagle, osprey, heron), tourism lodges, fisheries, and areas of high
cultural heritage potential. Appropriate AOC prescriptions were prepared and mapped for the range of
values requiring protection. Prescriptions followed guide requirements and no exceptions were developed.
The FMP identified seven species at risk, none of which are categorized as endangered but three of which are categorized as threatened (forest dwelling woodland caribou, whip-poor-will, and peregrine falcon).
Whip-poor-will and peregrine falcon have not been documented on the Forest but the Forest is within the range for these species. Surveys indicate a resident population of seven to nine caribou, two of which
are fitted with tracking collars. Approximately half of the Forest area is identified as caribou range
(continuous or discontinuous). The planning team, working with planning teams from adjoining forests, developed a Dynamic Caribou Habitat Schedule designed to provide for a long term continuous supply of
habitat suitable for woodland caribou.
The planned harvest meets FMPM requirements and logically followed the management strategy. The
2011-21 FMP planned harvest was 96% of the available harvest volume, with an explanation provided for
the difference. A clear explanation of how volumes were estimated was provided, as was an explanation of how SFL Appendix E wood supply commitments would be met. No wood supply shortages emerged
during the audit, which is not surprising in light of the mill closures that have occurred in recent years.
The Nagagami Forest has several large tourism lakes and a number of remote tourism operators, which
makes roads an issue on the Forest. There is every indication that information for roads planning was
adequate, that access planning was consistent with the management strategy and that the roads network is developing logically. The supplementary documentation for road alternatives and environmental
analysis is brief but meets FMPM requirements. Public comments were received and resulted in one road (the Mosambik Road) being elevated to Step 11 in the dispute resolution process, as discussed in Section
4.2.
Amendments
There were a total of ten amendments to the 2006-26 FMP, all of which were characterized as
administrative, and covered such things as harvest carryover from the previous FMP, line of site cutting, and application of an AOC to a recreational camp. The audit team determined that the categorization of
the amendments was reasonable and that the required processes were followed. The 2006-26 FMP Amendment #13 was examined in detail. This is the amendment modifying the hardwood utilization
standards and allowing non-veneer aspen to be left standing, on the ground or at roadside. It is a
controversial one because of the potential effect on forest renewal and the amount of unsightly waste left in the public eye. The audit team found Amendment #13 to be appropriate. Specifically, the
amendment was made in accordance with MNR-Northeast Region guidelines; unutilized poplar was not found by the audit team to be an impediment to forest renewal in the field, and a change in utilization
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standards was found to be necessary, the latter being brought on by the closure of oriented strand board
(OSB) mills in Wawa, Hearst and Longlac.
Amendments are categorized, among other things, according to the degree of public and aboriginal
consultation required in the circumstances. The District chose to categorize Amendment #13 as
administrative, with which the LCC agreed. This was one of the reasons Amendment #13 was chosen for a closer look but, in the end, the audit team does not challenge the DM’s decision.
4.4 Plan Assessment and Implementation
4.4.1 Plan Assessment
The conditions observed by the audit team in the field were consistent with descriptions of current forest conditions in the plan. Operations were also found to be consistent with the strategies outlined in the
plan.
4.4.2 Areas of Concern
A sample of AOCs was examined during the audit. AOC widths were verified by overlaying depletion
imagery on the approved planning maps and ground conditions were verified during the field audit. Other than one MAFA AOC (Block 773), which the audit team found had a portion that was slightly
narrower than prescribed, there was no evidence of trespass into the AOCs. The Forest Management Guide for Conserving Biodiversity at the Stand and Site Scales (Stand and Site Guide) now permits harvesting within portions of MAFAs and the small incursion did not appear to compromise the value.
4.4.3 Harvest
The audit team viewed completed harvest operations from the air and on the ground. No active
operations were visited as these are occurring outside of the audit period.
The audit team observed a high standard of adherence to FMP harvest allocations and to AOC
prescriptions. GPS technology and the dedication of company staff and contractors appear to have
almost eliminated the problem of trespass reported in the last IFA. This constitutes a significant improvement in performance. No site damage was observed either on the ground or from the air. This,
too, is a commendable achievement of which the company can be justifiably proud.
Slash disposal is a challenge not unique to the Nagagami Forest. Slash management was an issue on the
last IFA and the problem has been exacerbated by shrinking markets for non-veneer grade aspen and
conifer pulpwood. The audit team observed roadsides lined with poplar tree-length and softwood slash during its field trips. The problem has been made worse by the skidding to roadside of full-tree poplar
from which only the veneer logs are removed. This is being done, apparently, to facilitate its later utilization in the Becker Cogeneration Limited plant, now under construction alongside the Haavaldsrud
sawmill in Hornepayne. The precise amount of unmarketable hardwood and softwood slash at roadside
that will be utilized remains to be determined. The company anticipates that it will all be used; however, plant size and delivery cost are limiting factors, as is the age and condition of roadside slash. Creating a
viable market is undoubtedly the most effective way of dealing with waste, no matter what the type. Haavaldsrud Timber Co. deserves commendation for its part in the cogeneration plant venture, which will
do much to improve utilization of unmarketable products and reduce roadside slash on the Nagagami Forest. Should there be a significant amount of unmanaged waste left behind, despite operation of the
cogeneration plant, then MNR and NFM would need to take action.
Cutovers were examined in the field for residual tree retention and compliance with requirements. While adequate numbers of trees were retained following harvest they were mostly hardwood trees that were
will be killed by any follow-up aerial herbicide spraying. The Stand and Site Guide, and previously the Forest Management Guide for Natural Disturbance Pattern Emulation, require leaving a specified average
number of large live wildlife trees per hectare to provide a compliment of live trees that will decline over
an extended period of time, thus increasing their value to wildlife. See Appendix 1 for more information.
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Recommendation 3: NFM ensure, where possible, a component of large live conifer trees are
left in harvest blocks where herbicide treatment is likely.
The extent of advanced growth balsam fir that survives the harvest was of concern to the audit team.
Most harvesting on the Forest is done full-tree using feller-bunchers and grapple skidders. Typically, an
un-trampled corridor is left between skid trails with a high survival rate among advanced growth. This was observed both on lowland sites where CLAAG methods are desirable and on upland sites with high
balsam fir content where they are not. The audit team’s concern is that this practice will result in a higher than desirable proportion of balsam fir in the future forest condition and, in turn, greater
vulnerability to future spruce budworm attacks. Stands with a minor balsam content confined to a suppressed position in the understory suddenly have their balsam fir thrust into a dominant position and
full sunlight. The effect is greatest where older mixedwood stands are cut and the concern is greatest
where white spruce is planted.
The winter shear blading that was inspected was highly effective in reducing balsam fir but relatively little
mechanical site preparation is done on the Nagagami Forest. Most sites are direct-planted with no site preparation at all. The audit team expressed concern that the proportion of balsam fir on the Forest may
be increasing. NFM disputes this view and cites the destruction of balsam fir resulting from machine
traffic during harvesting as evidence that it is being controlled. At this point, there is no conclusive proof one way or the other that there is a significant issue with balsam fir, only a concern on the part of the
audit team that such a problem may be developing. The audit team believes that it is prudent to examine this question further. See Appendix 1 for more information.
Recommendation 4: NFM, with the technical assistance of MNR, conduct a study on the effect of stand and site conditions, harvest method and treatment type on the content of
balsam fir in the future forest condition, and that the NFM report on its findings in the
Annual Report following completion of the study.
The proposed study could be as simple as analyzing the change in species composition from the pre-cut
to the post-FTG condition by forest unit, harvest method and treatment type. What would be learned could be used in the next FMP Silvicultural Ground Rules (SGRs) as a part of normal adaptive
management.
Markets and utilization are the key problems on the Nagagami Forest. Today, only a market for softwood sawlogs and poplar veneer remains.
Figure 3. Volumes (m3) reported for the Forest during the audit term
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The utilization issue has been brought on by the closure of OSB mills accepting poplar in Wawa and
Longlac, and by the closure of pulp mills accepting spruce and balsam fir in Terrace Bay, Marathon and Sault Ste. Marie. Nagagami Forest Management has lost two of its four original shareholders through
these closures. Columbia Forest Products continues to receive wood from the Forest but is no longer a
shareholder. Despite this and despite the other challenges facing softwood lumber producers, Haavaldsrud Timber has been able to remain open. In recent years, the only demand for Nagagami
Forest wood has been for softwood sawlogs from Haavaldsrud and poplar veneer logs from Columbia Forest Products in Hearst. With the loss of its other markets, the company is no longer able to balance
the demand for just two products with the supply from what amounts to a highly mixed forest.
With a utilization standard that was impossible to meet and a commitment to supply its two remaining
mills at the same time, the company amended its 2006-26 FMP and wrote its 2011 FMP using modified
poplar utilization standards, in keeping with MNR-NE Region guidelines. In the field, the audit team found the company to be operating in accordance with these modified standards and it did not find the
low level of poplar utilization to present a sustainability issue. The harvest left a large amount of unsightly, unused wood behind, much of it at roadside, but it did not appear to the audit team to impinge
on forest renewal generally. Poplar stands with the requisite <30% residual crown canopy were found to
be regenerating satisfactorily when left to regenerate naturally, and to contain adequate numbers of planted trees when treated to regenerate artificially. In the end, the low level of poplar utilization was
not considered an issue by the audit team.
A significant amount of merchantable conifer was observed in slash piles, which was not addressed in the
2006-26 FMP or through FMP Amendment #13. In late 2009, NFM approached MNR Wawa District for permission to amend the FMP to modify conifer utilization standards, citing the lack of markets for conifer
pulpwood and chips. The request was to allow an increase in the minimum top diameter size from a 10
cm top to 14 cm. MNR did not reply in writing but indicated at a meeting with the JRM vice-president soon after that it would not support such a request. Despite the lack of an approval to do so,
Haavaldsrud Timber’s harvesting operations began topping conifer at roadside to a target 14 cm top, the rationale being that operations would have otherwise closed and that the unutilized merchantable
material would be picked up for biomass, where possible, when the cogeneration plant became
operational.
The Becker Cogeneration Plant is under construction and is expected to start up by October, 2013. This
is a commendable initiative that, along with the re-start of the Terrace Bay mill by AV Terrace Bay Inc, should go a long way toward solving the softwood utilization issue on the Nagagami Forest. In the
meantime, action needs to be taken to resolve the conifer utilization issue and recover the unutilized fibre
that has been left at roadside without proper approval to do so. See Appendix 1 for more information.
Recommendation 5: MNR Wawa District and NFM come to an agreement on the conifer
utilization associated with topping in excess of 10 cm diameter that will, as a minimum, specify precisely:
o what merchantable material that has been left unutilized without authorization will be recovered for use and the Crown charges that will apply
on this material, and
o what merchantable material that has been left unutilized without authorization is beyond recovery for economic or other reasons, and the
Crown charges that will apply on this material.
4.4.4 Silviculture
Regeneration treatments are linked to harvest activity. Since 2008, markets collapsed and local markets
for pulpwood disappeared. Harvest levels declined dramatically and were shifted to concentrate on upland pine, spruce and mixedwood stands where sawlog, hardwood veneer and hardwood biomass
products could be harvested in stands that were close to the one remaining sawmill in Hornepayne
(Haavaldsrud Timber). Slightly less than half of the area harvested was planted (4,957 ha or 44% of the actual harvest area). Fifty five percent (5,778 ha) of the area harvested was tended to encourage spruce,
pine and fir regeneration and the remainder was regenerated naturally, leading most often to poplar and
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birch dominated stands. Lowland conifer stands also regenerate naturally to mixtures of spruce, larch
and cedar.
Field observations found that species were assigned to match the site conditions and were often planted
in mixtures that matched the initial stand conditions. The planting program was well planned and
implemented. Seedlings were healthy and vigorous and all regenerated stands were well stocked with trees. The company is managing its slash for biomass and residual piles are to be burned and then
planted.
The ratio of planned renewal treatments to actual harvest levels was assessed from the Annual Report
data. The ratio of natural regeneration areas to harvest areas is 48%. The relative amount of area actually planted (44%) is higher than planned (31% of harvested area) because of the concentration of
harvests on upland sites with suitable saw timber. In 2009 the harvest areas declined due to a
temporary sawmill closure. The planting of areas harvested two years previous to 2009 amounted to 1,000 hectares, some of which was part of a Forestry Futures Trust stimulus program.
An increase in the relative amount of planting should coincide with an increase in the relative amount of site preparation and tending. There is twice as much area direct planted without site preparation than
was planned. The relative amount of harvest area planted (44%) matches the provincial 2000-2010
average (44% of area harvested) but the site preparation planned (20%) and actual (21%) is less than half of the provincial ten-year average (40%) on a harvest area ratio basis.
The area tended relative to harvested areas fluctuated over the five-year period and is similar to the provincial average (47% of area harvested). The company consolidates tending contracts into some
peak years to generate economies of scale. The ratio of tended area to harvest area matches planned levels across the five-year term. Some areas planted in this term will be treated in the next term.
Site preparation is significantly lower than the provincial average. Site preparation helps reduce balsam
fir, control unwanted vegetation and warm the soil, allowing seedlings to better establish themselves. The Company plans to catch up on site preparation and uses winter blading as the preferred method.
This technique improves planter access but does not warm the soil. Studies in British Columbia have shown that site preparation can increase growth rates and reduce rotation length by 10%. Studies in
eastern Canada, however, found that the increased growth rates did not justify the cost of site
preparation.
MNR currently relies on natural fire pattern emulation at the landscape and stand scales as a course filter
biodiversity conservation strategy. This strategy is a cornerstone of Provincial policy. Site preparation (fire or mechanical) helps emulate natural disturbance events like fire and wind throw at the microsite
scale.
In general, the reforestation program is well-run and will grow productive and healthy forests. The fine textured soils that dominate the Forest are quite productive and there was little evidence of compaction
and rutting. These soil conditions favour mixedwood forests and balsam fir is abundant in the understory. Harvesting methods designed to protect advanced growth on some sites and protection of
residual stems and patches required under the stand and site guides all contribute to enhancing residual structure and persistence of balsam fir. These practices combined with horse logging up to the 1970s,
fire suppression and under-harvesting may create unnaturally high levels of balsam fir that are
susceptible to periodic budworm outbreaks. Previous audits (2002 and 2007) identified that the increase in balsam fir is a forest health concern. The 2007 IFA suggested that mechanical site preparation and
prescribed burning be considered as options to address these forest health concerns. MNR has recently modified its prescribed burn policies, which should make this treatment more cost effective using a risk
assessment and management approach. See Appendix 1 for more information.
Recommendation 6: NFM investigate the costs and benefits of increased productivity and reduced balsam fir composition through the use of mechanical site preparation and
prescribed burns by establishing and monitoring trials within the next two years.
It is not entirely clear to the audit team if an increase in site preparation on harvested areas alone will
have a significant enough impact on reducing fir and mixedwoods in ways to address this potential forest
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health risk and to meet the Landscape Guides. Furthermore, the evidence from silviculture effectiveness
monitoring is not sufficiently conclusive to determine the magnitude of the problem at this stage of review. These concerns are best addressed through the adaptive management process in the current
forest management planning framework.
Some questions worth exploring during the next planning and analyses phase are:
How serious is the current forest development path in compromising forest health and landscape
guide targets?
If the trends are deemed serious, undesirable and unalterable using conventional forest harvest
and renewal practices, would MNR consider changing the Stand and Site Guide to reduce residual patch retention and hence balsam fir representation? Would MNR also consider expanded
prescribed burns into un-harvested areas to address these potential forest health risks?
4.4.5 Access
During the field portion of the audit, the audit team inspected road construction and maintenance,
including water crossing installations and removals. Only one completely new road – the Mosambik Road
– was planned in the 2011-21 FMP. It ended up going through the issue resolution process as described in the FMPM (see Section 4.2). In contrast to findings in the previous IFA, road maintenance was
observed to be satisfactory with no significant drainage issues noted. Much work, including replacement of old culverts, had been accomplished under the Road Maintenance funding agreement and the work
corresponded to invoice details for the sample viewed. Water crossing work was typically completed to a high standard, with one exception (WC 66 - perched) viewed in the field. Culverts were of proper size
and placement, in good condition, properly installed, with stable banks and well armoured with rip-rap.
Removals showed proper water diversion, stable banks and no evidence of soil movement into the water.
4.5 System Support
Jackfish River Management operates from an office located in Hornepayne, which is centrally located in the Nagagami Forest. While the staff is small in number, several have decades of experience on the
Forest and know it intimately. This was evident in the detailed silviculture prescriptions that were
prepared based on on-the-ground reconnaissance. There are two registered professional foresters on staff. The company has an in-house geographic information system used for planning, data management
and map production. Records were found to be well maintained.
MNR Wawa District operates from a main office in Wawa and a satellite office in Manitouwadge, both an
approximately two hour drive from Hornepayne. This distance poses some challenges for MNR staff to make regular visits to the Forest. District staff is well trained and qualified to undertake its
responsibilities. Infrastructure support and resources were provided to fulfill MNR’s role in forest
management.
The Forest Information Management (FIM) portal, an online data exchange system, helps to ensure
document control. The audit team made use of the portal during the site selection and document review portions of the audit to access documents and the Geographic Information System data shared by MNR
and the SFL holder.
4.6 Monitoring
4.6.1 Compliance
FOIP inspections conducted by MNR were below the MNR compliance plan level in the first three years of
the audit term but above it in the final two years. The plan called for MNR to inspect 10% of company
start-ups. MNR underperformed in the number of inspections in the previous audit period as well. MNR could consider contracting out its compliance inspection program where it knows that it cannot meet its
inspection obligations.
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The company prepared and implemented a forest compliance plan meeting MNR requirements; however,
some compliance inspection reports did not identify Operational Issues associated with conifer utilization. This issue is related to the utilization issue discussed in Section 4.3 and is dealt with in Recommendation
7.
4.6.2 Year 10 Annual Report
The Year 10 Annual Report was prepared according to requirements, addressed the required topics and
provided a reasonable synopsis and analysis of activities. The audit team found the observations and
conclusions in the Year 10 Annual Report were generally consistent with those of the audit team.
Due to market conditions and mill closures, actual harvest area across nearly all forest units was
substantially below planned (53%) during the 2006-11 plan term. Utilization of available harvest volumes was also well below planned (42%), although jack pine harvest volume was 86% of planned. Volume
trends over the previous three terms spanning 1997 to 2011 demonstrated a steady decline in
spruce/pine/fir utilization and a recent steep decline in poplar utilization. Utilization of birch and incidental species such as cedar and larch remained consistently low.
Planned versus actual tree planting levels have varied between terms but were close to planned in the 2006-11 term when prorated against harvest levels. Mechanical site preparation has consistently fallen
short of planned. This is related to the practice of using careful logging methods and direct planting on the Forest. Chemical site preparation spiked in the 2001-06 term but has returned to modest levels.
Aerial chemical tending levels have varied and are directly tied to the results of vegetation competition
estimates conducted by JRM and to the refinement of herbicide prescriptions.
A total of 19,436 hectares of FTG surveys were completed by the Company. The audit sample found the
data to be consistent with field observations, an improvement from the last IFA.
FTG data help to update the inventory and assess silvicultural program effectiveness. Table AR-13 in the
Year 10 AR describes silviculture effectiveness and regeneration effectiveness. Although regeneration
success is 98%, silviculture success is 54%. Silviculture success is achieved when a silviculture ground rule produces the expected forest unit.
Table 2. Silvicultural Success vs. Regeneration Success
Harvest
Forest Unit
Area (ha) Regenerated to:
Area Not Successfully
Regenerated
Silvicultural
Success (%)
Regeneration
Success (%)
Projected
Forest Unit
Other
Forest
Unit
Bw1 817 71 0 92 100
LC1 94 176 5 34 98
MW1 337 668 11 33 99
MW2 1,660 195 1 89 100
PJ1 737 867 7 46 100
PJ2 466 349 4 57 100
PO1 906 243 0 79 100
PO3 4,198 2,094 469 62 93
SB1 1,190 1,343 10 47 100
SB3 738 3,089 2 19 100
SF1 519 1,215 19 30 99
SP1 1,742 680 0 72 100
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Harvest
Forest Unit
Area (ha) Regenerated to:
Area Not Successfully
Regenerated
Silvicultural
Success (%)
Regeneration
Success (%)
Projected
Forest Unit
Other
Forest
Unit
BOG 0 15 0 0 100
Total 13,404 11,005 528 54 98
There are many problems with this type of analysis. The forest estate model recognizes that forests succeed along multiple pathways. The SGRs recognize a range of outcomes as being acceptable but can
only list one forest unit when in fact several could be suitable. Forests that classify the forest into
relative few and more complex forest units will more likely achieve higher silviculture success rates than forests that have more numerous and narrowly defined forest units. These higher scores may look good
but mask trends and reduce the opportunities for institutional learning.
Low success rates send a negative message to the public, suggesting that the reforestation program is
not up to par, when in fact it could reflect artifacts of models and classifications schemes of a virtual
world of forest estate modeling that is more precise and predictable than the real world. This is a significant issue in Ontario, where relatively low value and yields do not generate incomes or rationale for
intensive forestry on the majority of sites. This reliance on extensive forestry produces more variable outcomes compared to plantation forestry found in temperate and tropical countries, yet might be a
perfectly rational strategy. The audit team has raised this issue in previous audits and MNR is reviewing their forest renewal monitoring and reporting procedures.
In recognition of the above problems, JRM did some additional analyses and developed a transition
matrix tracking the forest units that were harvested to the forest units declared during the free to grow survey. The report author then described in detail the variances that have occurred. Some of these
variances are artifacts of inventory and mapping practices but other variances suggest a need to update the SGRs or forest estate modeling assumptions. The additional analysis undertaken by JRM represents a
best practice (Appendix 1). See Appendix 1 for more information.
Best Practice: the analysis of forest renewal outcomes conducted by JRM in conjunction with MNR.
The analysis shows that many mixedwood forest units are regenerating as spruce-fir forest due to protection of understory and tending practices. Many lowland spruce stands (SB3) are regenerating to
lowland conifer (LC1) due to increases in larch. Larch representation is increasing across Ontario as this species is recovering from larch saw fly, an invasive species outbreak in 1920 that is now under control
as predator populations adapted or have been introduced.2 These trends are important to consider in
future plans and may suggest a need to refine forest renewal strategies but should not necessarily be described as a silviculture “failure” or lack of success. The audit team has questioned the utility of the
concept of silviculture success in previous IFAs and suggests MNR consider in future revisions of the FMPM the use of transitional analysis, such as the one completed for the Nagagami Forest, as a more
meaningful approach to assessing silvicultural outcomes.
The 80% target for clearcuts below 260 ha in size was not met in the 2006-26 term. The actual result was approximately 59%, the most significant shortfall being in the 1-130 ha size class. However, overall
movement toward desired distribution by size class was met. The AR author acknowledged the difficulty in achieving the targets given considerations such as forest and site conditions and species markets.
Disturbance targets established in the FMP are tempered by limits set by MNR (i.e. what is socially
acceptable) and fire suppression policies. They do not fully reflect the distribution of disturbance sizes that what would occur in a natural, fire-driven ecosystem (i.e. even more area in large disturbances).
Having less area contained in small disturbances is consistent with a natural disturbance pattern.
2 http://www.dnr.state.mn.us/fid/april2012/tamarack.html accessed Nov 2012
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Modeling assumptions from the 2006-26 FMP were reviewed by the AR author; however, there was no
impact on the assumptions for the 2011-21 FMP as the long term management direction had already been set for that plan. The author identified shortfalls in harvest area and post-renewal succession as
being the two areas where assumptions were not met, and suggested that the model could be run in the
future using the lower utilization levels. Changes in the wildlife habitat matrices in the 2006-26 FMP confound the interpretation of trends in the information and make comparison to previous terms
unreliable.
Achievement of the 2006-26 FMP objectives was evaluated. Forest diversity objectives were met. Non-
timber objectives were met, while timber objectives were not. Forest cover objectives were met, as were silviculture objectives. Based on the collective assessment of achievement of the management objectives
and implementation of the 2006-26 FMP the Year 10 AR concluded that forest sustainability was being
achieved.
4.7 Achievement of Management Objectives and Sustainability
4.7.1 Achievement of Management Objectives
The audit team’s assessment of achievement of the 2006-26 FMP management objectives is summarized
in Table 2, Appendix 2. Targets for most objectives were met, the most significant shortfall being the underutilization of the available harvest area. The current plan has only been implemented for one year,
so it is too early to determine whether its objectives are on track to being met. The intent is to report on progress towards meeting these management objectives in the Year 7 and Year 10 ARs.
4.7.2 Forest Sustainability
The audit team found that forest sustainability is being achieved. While harvest levels are depressed due to challenging market conditions, this doesn’t appear to be a significant threat to sustainability at this
time. During the previous audit term the Nagagami Forest had one of the highest harvest area utilization
levels in the Province and the current under-harvest does not constitute a trend. Modelling was verified by the audit team and the long term management direction is sustainable. Overall, management
objectives are being met, although social objectives associated with full harvest of the available harvest area are not currently being met. The silviculture program is keeping up with harvest levels and the
forest managers have detailed on-the-ground knowledge of the Forest and its management. The audit
team’s concern over a possible increase in the balsam fir component on the Forest due to operational practises is based on observation. Firm data needs to be collected to know conclusively if there is real
cause for concern (see Recommendation 4). Slash has been an ongoing challenge; however, Haavaldsrud Timber Co. has risen to the challenge with construction of the Becker cogeneration plant,
which should lead to significant improvement in the use of slash and unmarketable fibre. Regeneration
success rates are very high, although silvicultural success rates are approximately 60%, the latter being a function of how silviculture success is defined in the FMPM. The regeneration that is developing will most
certainly lead to a viable forest. Access, harvest and silviculture operations are generally well executed and the environment is being protected during plan implementation.
4.8 Contractual Obligations
NFM was in compliance with most of the conditions of the SFL (see Appendix 3), with two exceptions.
Arrears of approximately $3 million have been accumulated for outstanding Crown dues (stumpage),
Forestry Futures Trust contributions and Forest Renewal Trust Account contributions. Many firms were allowed by MNR to defer Crown dues during the Great Recession that began in 2008 and has not yet
ended for the forest sector in Ontario. Some of these firms have since declared bankruptcy. In addition to the loss of Crown dues, the bankruptcies also raise issues about silvicultural or forest renewal
liabilities. MNR has completed a study on the issue of silvicultural liabilities that is not yet available to the
public.
NFM and MNR have signed and are implementing a repayment agreement. The field evidence collected
by the audit team indicates that silvicultural liabilities are not a concern. The forest sector markets are
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forecast to improve next year and the Terrace Bay pulp mill has resumed operations. These trends
suggest that the repayment plan should be viable.
An issue directly related to the utilization of conifer tops, discussed in Section 4.3, is the compliance
reporting that was done for it. The audit team observed large conifer tops on a number of harvest blocks
that were not properly reported in FOIP. Given that the 2006-26 FMP did not allow topping of conifer at greater than 10 cm, NFM inspectors should have reported an Operational Issue on each block in which
conifer tops containing merchantable wood were being produced. According to FOIP, an Operational Issue makes or has the potential to make a forest operation non-compliant with the regulatory
framework. The onus is on the licence holder’s inspector to report Operational Issues, allowing MNR inspectors to verify such reports so that follow-up actions can occur. See Appendix 1 for more
information.
Recommendation 7: NFM and MNR Wawa District review compliance reporting practices and ensure that there is a clear understanding and consistent application of the concept of
Operational Issues associated with compliance inspection reporting requirements.
Most of the 30 recommendations contained in 2007 IFA report were fully addressed and the actions were
effective in addressing the identified issues. Recommendation 1 (MNR compliance monitoring) was
partially addressed in that MNR’s compliance inspection targets were met in only two of five years. Recommendation 17 (developing a common compliance understanding) was also partially met in that
some planned meetings and joint inspections were not conducted. Recommendation 23 (traditional means of access) was partially addressed. MNR re-stated its position on roads and cited the process in
the FMPM and the fact that the FMPM is available to the public. Recommendation 30 (licence extension) was in process at the time of audit.
4.9 Conclusions and Licence Extension Recommendation
The audit team found that NFM was committed to a high standard of management on the Forest during the review period and that it met its obligations under the licence in large measure. Notably, the
Company prepared a good forest management plan and operated in general accordance with it. In addition, the Company achieved a very low incidence of site damage during harvest and a very high rate
of regeneration success after renewal. All of the AOCs that were inspected received the protection due to
them and none of the water crossings that were inspected showed environmental damage.
Attention is required by NFM to address concerns with balsam fir regeneration, maintenance of a
component of large, live trees in cut blocks, merchantable wood contained in conifer tops and accurate reporting of Operational Issues in FOIP.
The audit team concludes that management of the Nagagami Forest was generally in compliance with the
legislation, regulations and policies that were in effect during the term covered by the audit, and the Forest was managed in general compliance with the terms and conditions of the Sustainable Forest
Licence held by Nagagami Forest Management Ltd. Forest sustainability is being achieved, as assessed through the Independent Forest Audit Process and Protocol. The audit team recommends the Minister
extend the term of Sustainable Forest Licence 550047 for a further five years.
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APPENDIX 1 – RECOMMENDATIONS
Independent Forest Audit – Record of Finding
Recommendation 1
Principle 2: Public Consultation and Aboriginal Involvement
Criteria 2.5 Aboriginal Involvement in Forest Management Planning
Procedure 2.5.1: Aboriginal community consultation and involvement
Background Information and Summary of Evidence:
Supplementary Document G – Aboriginal Background Information Report includes background
information reports for: Hornepayne Aboriginal Community.
Supplementary Document G – Aboriginal Background Information Report discusses the creation of value
maps for: Hornepayne Aboriginal Community
The audit team was provided with a copy of a report created in 1996 called “A Constance Lake Hornepayne First Nation Values Mapping Project”, a draft Native Background Information Report from
September 1999 for Constance Lake and a draft report on the protection of identified Native Values for Hornepayne from April 2000.
A Preliminary report on the Protection of Identified Aboriginal Values was prepared in November 2010.
Ginoogaming, Constance Lake & Pic Mobert all requested that values mapping be conducted. Their
feeling is that their values are not being protected.
Hornepayne Aboriginal Community would like to update their values maps. Their feeling is that not all values have been identified and therefore not all have been protected.
Discussion:
The current background information reports may be outdated and the communities expressed interest in values updating.
Conclusion:
MNR should act on the interest expressed by the three Aboriginal communities to update values
information and the background information reports.
Recommendation 1: MNR engage Ginoogaming, Constance Lake and Pic Mobert First Nations to conduct values mapping and prepare Aboriginal background information reports and contact Hornepayne
Aboriginal Community to update their values maps and background information report.
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Independent Forest Audit – Record of Finding
Recommendation 2
Principle 2: Public Consultation and Aboriginal Involvement
Criteria 2.3: Issue Resolution
Procedure 2.3.1: Examine and assess the approach used to resolve issues identified by the public.
Background Information and Summary of Evidence:
One issue, the Mosambik primary road, went to issue resolution using the process described in Part A,
Section 3.4.1 of the FMPM. The issue remained unresolved at Step 7 in the process and the District Manager (DM) provided a written decision in accordance with the requirements of the Manual. In making
his decision, the DM selected from among the three alternative road corridors that had been proposed
through the forest management planning process and provided the rationale for his decision. The audit team found the DM’s decision to be sound and his rationale to be clear.
The concerned party (a remote tourism operator) remained unsatisfied and requested a review of the DM’s decision by the Regional Director in accordance with Part A, Section 3.4.1.3 of the FMPM. This
process continued unresolved to Step 11, at which time the Regional Director provided her written decision with reasons.
Discussion:
In making her decision, the Regional Director selected a previously identified alternative without first subjecting it to the forest management planning process. For primary roads, the FMPM requires an
identified corridor, an identification of AOCs, an environmental analysis, a rationale for the choice of the
preferred option, a use management strategy for the road, public consultation and documentation of the process.
The regional office was unable to provide a documentation of the process that led to the Regional Director’s decision.
In her letter of decision, the only condition placed by the Regional Director on her choice of the fourth alternative was its feasibility. The district manager was asked only to confirm whether the portion of this
road option on private land could be converted to a Crown road.
Conclusion:
The audit team found that the Regional Director failed to provide a clear rationale for her decision. The
reasons provided in the written decision stated only that her decision was “based on additional
information that was not available to the district manager at the time of his decision-making process”.
Recommendation 2: Corporate MNR review Part A, Section 3.4.1 of the FMPM and ensure that its
wording is clear that decisions made as a result of the issue resolution process must also meet the
requirements of the forest management planning process.
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Independent Forest Audit – Record of Finding
Recommendation 3
Principle 4: Plan Implementation
Criteria 4.3: Harvest
Procedure 4.3.1. Review and assess in the field the implementation of approved harvest operations. Include the following: residual stand structure required of the FMP, including individual residual tree
retention and downed woody material.
Background Information and Summary of Evidence:
The Natural Disturbance Pattern Emulation Guide and more recently the Stand and Site Guide require the
leaving of large live wildlife trees following harvest. Field observations during the audit noted that most
residual stems left following harvest within harvest blocks were hardwood, principally poplar. Many of these blocks both sampled and viewed between sample sites had been aerial sprayed with herbicide, thus
killing the live residual trees. Most of these blocks had been harvested principally for their softwood content and therefore there would have been opportunities to leave a mix of both hardwood and conifer
stems.
Discussion:
The potential useful life of large live hardwood trees left following harvest is greatly shortened when
follow-up herbicide treatments occur within the first few years following harvest. Since conifer trees are unaffected by the herbicide spray when applied at the correct time they should help to meet the intent of
the guides that there be a component of large live trees left following harvest.
Conclusion: Leaving a component of large, live conifer trees, in particular white spruce where it is found, would assist
in meeting the intent of the guides of having a compliment of live trees that will decline over an extended period of time, thus increasing their value to wildlife.
Recommendation 3: NFM ensure that, where possible, a component of large live conifer trees are left
in harvest blocks where herbicide treatment is likely.
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Independent Forest Audit – Record of Finding
A mixedwood stand harvested by feller-bunchers and hot-planted without site preparation. A follow-up aerial herbicide
application will reduce the hardwood competition but not the balsam fir.
Recommendation 4
Principle 4: Plan Implementation
Criteria 4.3: Harvest
Procedure 4.3.1 Review and assess in the field the implementation of approved harvest operations
Background Information and Summary of Evidence:
The extent of balsam fir advanced growth that survives the Nagagami harvest was of concern to the
audit team, at least on certain sites. Typically an untrampled corridor is left between skid trails, with a high survival rate among advanced growth. This was observed both on lowland sites where CLAAG
methods are desirable and on upland sites with high balsam content where they are not.
Discussion:
Essentially, the concern is that this practice will result in a higher proportion of balsam fir in the future
forest condition and a greater vulnerability to future spruce budworm attacks. Stands with a minor balsam content confined to a suppressed position in the understory suddenly have their balsam thrust
into a dominant position and full sunlight. The effect is greatest where older mixedwoods are cut and the concern is greatest where white spruce is planted.
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The winter shear blading that was inspected proved highly effective in reducing balsam fir but relatively
little mechanical site preparation is done on the Nagagami. Most sites are direct-planted with a hand scalp and no other site preparation at all.
Conclusion:
Knowledge of the factors influencing balsam fir as a component of the regenerating forest will be useful
in planning management strategies to reduce the impact of spruce budworm infestations.
Recommendation 4: NFM, with the technical assistance of MNR, conduct a study on the effect of stand and site conditions, harvest method and treatment type on the content of balsam fir in the future forest
condition, and the NFM report on its findings in the Annual Report following completion of the study.
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Independent Forest Audit – Record of Finding
Recommendation 5
Principle 4: Plan Implementation
Criteria 4.3: Harvest
Procedure: Assess whether wood utilization followed the Scaling Manual
Background Information and Summary of Evidence:
Utilization issues were observed repeatedly in the field during the audit. Harvest operations were leaving
merchantable conifer with a diameter of 10-14 cm for which there was no market or poor markets, without the approval of MNR.
Low levels of poplar utilization were also observed in the field but this was not an issue for the audit team. NFM amended its 2006-26 FMP and wrote its 2011-21 FMP using modified poplar utilization
standards, in keeping with MNR-NE guidelines. The audit team found the company to be operating in accordance with these modified standards in the field and did not find the low level of poplar utilization to
be an impediment to forest renewal.
On November 18, 2009, NFM approached MNR Wawa District for permission to amend its FMP to modify
the 2006-26 FMP conifer utilization standards, citing the lack of markets for conifer pulpwood and chips. The request was to allow an increase in the minimum top diameter size from 10-cm to 14 cm. MNR did
not reply in writing but indicated that it would not support such a request at a meeting with the NFM general manager soon after. In discussions with the audit team MNR indicated that their unwillingness to
support such an amendment was tied to the deficit in NFM’s Renewal Trust Account at the time.
Despite the lack of an approval to do so, Haavaldsrud Timber’s harvesting operations began topping its
conifer at roadside to a target 14-cm top. At the audit wrap-up meeting on September 21, 2012, representatives of both NFM and JRM acknowledged this to be the case. Their stated rationale was that
operations would have otherwise closed and that this material will be picked up for biomass, where possible, when the cogeneration plant is operational.
Unlike the 2006-26 FMP, the 2011-21 FMP discusses the use of biomass as fuel for the cogeneration plant. Table FMP-15 contains a category for biomass and notes that non-sawlog volumes are to be used
in the cogeneration plant or the pellet plant.
Discussion:
The market constraints that led to the NFM-FMP amendment request letter and to the Company’s actions
were significant impediments to full utilization. With the closures of Terrace Bay Pulp, Marathon Pulp, St. Mary’s Paper and others, NFM was unable to dispose of the softwood pulpwood component of its harvest
and Haavaldsrud Timber has been unable to fully dispose of its chips.
Haavaldsrud has partnered with Anmar Limited of Sudbury to build a 10 MW cogeneration plant at its
Hornepayne location. Operating as Becker Cogeneration Limited, the plant is under construction and is expected to start up by this time next year. Once running, the plant is expected to use 100,000 m3 of
mill residue and 70,000 m3 of harvesting residue within a 45-km hauling radius, including slash and roadside poplar from which the veneer logs have been cut. This is a commendable initiative that will go
a long way toward solving the softwood utilization issue.
With the re-start of the Terrace Bay mill by AV Terrace Bay Inc. and the eventual start-up of the Becker
Cogeneration plant, the issue of unutilized, merchantable softwood on the Nagagami will be greatly reduced. In the meantime, action needs to be taken to clean-up the conifer that has been left at
roadside and to ensure that issues of this type do not happen again.
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Conclusion:
The issue associated with large conifer tops left at roadside must be resolved by MNR Wawa District and
NFM.
Recommendation 5: MNR Wawa District and NFM come to an agreement on the conifer utilization
associated with topping in excess of 10 cm diameter that will, as a minimum, specify precisely: o what merchantable material that has been left unutilized without authorization will be
recovered for use, and the Crown charges that will apply on this material, and
o what merchantable material that has been left unutilized without authorization is beyond recovery for economic or other reasons, and the Crown charges that will apply on this
material.
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Independent Forest Audit – Record of Finding
Recommendation 6
Principle 4.0: Plan Implementation
Criteria 4.4: Renewal
Procedure: Assess whether site preparation and regeneration treatments were consistent with the FOP; the
FOP was consistent with the SGRs; the FOP was certified by an R.P.F. or other qualified individual; and actual
operations were appropriate and effective for the actual site conditions encountered.
Background Information and Summary of Evidence:
All of the procedures associated with this criterion found the renewal program to be professionally implemented and producing good results with one exception:
The annual report data reveals the following trends:
Treatment Source2007-2012 Audit Province
2007-08 2008-09 2009-10 2010-11 2011-12 Total 2001-2010Natural Regen Planned % harvest 60% 60% 60% 60% 56% 60% 54%
Actual % harvest 136% 39% 46% 98% 99% 87% 48%
Seeding Planned % harvest 0 0 0 0 0 0 8%Actual % harvest 0 0 0 0 0 0 11%
Planting Planned % harvest 23% 23% 23% 23% 23% 23% 31%Actual % harvest 54% 27% 100% 35% 39% 44% 44%
SIP Planned % harvest 22% 22% 22% 22% 9% 20% 40%Actual % harvest 5% 55% 7% 2% 24% 21% 40%
Tending Planned % harvest 58% 58% 58% 58% 40% 55% 45%Actual % harvest 0% 84% 146% 32% 51% 52% 47%
Harvest FMP Planned 3,711 3,711 3,711 3,711 3,188 18,032AR Actual 2,743 2,922 1,037 2,507 1,959 11,168
AR/FMP (%) 74% 79% 27.93% 68% 61% 62% 59%
There is twice as much area direct planted without site preparation than was planned. The relative
amount of harvest area planted matches the provincial average but the site preparation planned and
actual is significantly less than the provincial ten-year average on a harvest area ratio basis. The company compensates for reduced site preparation by carefully executing planting (hand scalping) and
tending programs. Tree seedling survival is excellent and growth rates are good.
The forest soil conditions favour mixedwood forests and balsam fir is abundant in the understory. The
current harvesting methods intended to protect advanced growth on some sites and the stand and site guides requirements that require protection of residual stems and patches, all contribute to enhancing
residual structure and persistence of balsam fir. These practices combined with horse logging up to 1970s, fire suppression and relatively lower rates of current harvest levels may create unnaturally high
levels of balsam fir, which are susceptible to periodic budworm outbreaks. Previous audits (2002 and 2007) identified that an increase in balsam fir is a forest health concern. The 2007 IFA suggested that
mechanical site preparation and prescribed burning be considered as options to address these forest
health concerns.
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A jack pine direct planted in 2009 without site preparation is shown in the foreground left
panel. A seedling planted the same day on exposed mineral soil from wind throw (background left panel and right panel) is much larger and illustrates the potential benefits
of mechanical site preparation.
From FMP 2011 pg 321:
“Objective 4.3 states that there is one target candidate area for high complexity prescribed burn during
the 10 year planning period. The burn is expected to occur in block number 776, which contains 116 hectares that was harvested in the 2006-2011FMP period. The current forests units in this block are SF1,
SB1 and SB3 and the expected future forest units are SF1 and LC1. The FMP team would like to see the use of this tool in one block in this planning period. In the past MNR supported the use of PBs in forest
renewal and the PB’s were seen as excellent training opportunities for fire staff where fires could be suppressed in a more controlled and safer fashion than actual wildfire. However, MNR support for the use
of PBs in forest renewal has been practically non-existent in recent years with complete cost recovery
expected from the SFL for all aspects of the operation including full cost of suppressing unexpected excursions outside of the proposed PB boundary. Therefore, due to the uncertainty and associated
liabilities with PBs SFL holders have been unable to support this renewal treatment.”
MNR has recently revised its prescribed burn policies using a risk management approach that should
make this treatment cost effective.
Discussion:
MNR currently relies on natural fire pattern emulation at the landscape and stand scales as a course filter
biodiversity conservation strategy. This strategy is a cornerstone of provincial policy. Site preparation (fire or mechanical) helps emulate natural disturbance events like fire and wind throw at the micro site
scale and helps to reduce balsam fir and increase the growth rates of pine and spruce. Studies have
shown site preparation can increase growth rates.3
3 Hawkins, C., Steele, W, and T. Letchford, 2006. The economics of site preparation and the impacts of
current forest policy: evidence from central British Columbia, Can. J. For. Res, 36: 482-494
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Conclusion:
Mechanical site preparation and prescribed burning have the potential to improve silvicultural results on the Nagagami Forest. NFM should examine increasing the use of these methods.
Recommendation 6: NFM investigate the costs and benefits of increased productivity and reduced
balsam fir composition through the use of mechanical site preparation and prescribed burns by establishing and monitoring trials within the next two years.
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Independent Forest Audit – Record of Finding
Best Practice
Principle 6: Monitoring
Criteria 6.3: Silviculture Standards and Assessment Program
Procedure 6.3.2: Assess whether the SFL/management unit assessment program is sufficient and is being used to provide the required silviculture effectiveness monitoring
Background Information and Summary of Evidence:
The audit team sampled Free to Grow (FTG) surveyed area and the sampled observations agreed with
the data collected by the Company. This marks a considerable improvement over observations made in
the previous audit where large variances were observed.
In addition, these data were used in the Year Ten Annual Report to track silviculture success.
Discussion:
FTG data help update the inventory and assess silvicultural program effectiveness. The FMPM requires
Table AR-13 to describe silviculture effectiveness and regeneration effectiveness in the Year Ten AR.
Although regeneration success is 98%, silviculture success is 55%. Silviculture success is achieved when a silviculture ground rule produces the expected forest unit.
There are many problems with this type of analysis. The forest estate model recognizes that forests will succeed along multiple pathways. The SGRs recognize a range of outcomes as being acceptable but can
only list one forest unit as the measure of a successful outcome when in fact several could be as
successful from a forest level planning perspective.
Low success rates send a negative message to the public, suggesting that the reforestation program is
not up to par, when in fact it could reflect artifacts of models and classifications schemes. This is a significant issue in Ontario, where relatively low value and yields do not generate incomes or rationale for
intensive forestry on the majority of sites. More intensive forestry involves more inputs into the system to control the outcomes. An example of intensive forest management would be a spruce plantation
where cleaning and tending eliminate all other species and hence impact future species composition and
growth. Reliance on extensive forestry produces more variable outcomes compared to plantation forestry found in temperate and tropical countries, yet might be a perfectly rational strategy.
JRM did some additional analyses that consisted of a transition matrix that tracks how forest units have changed since time of harvest to the condition when assessed as Free to Grow. This is much more
meaningful than reporting whether or not a single post harvest succession pathway was successfully
realized. The report also describes the factors that influence each post harvest succession pathway. The analysis provides information to refine silvicultural practices and improve model forecasts in the next
plan.
Conclusion:
The audit team found that the additional analyses of forest renewal outcomes to be a best practice.
Best Practice 1: The analysis of forest renewal outcomes conducted by JRM in conjunction with MNR.
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Independent Forest Audit – Record of Finding
This photo, taken in December 2010 and attached to MNR-FOIP Report #470286, shows topping of conifer at a
diameter larger than that allowed.
Recommendation 7
Principle 8: Contractual Obligations
Criteria 8.1.18: Compliance inspections and reporting; compliance with compliance plan
Procedure: See IFAPP Section 6
Background Information and Summary of Evidence:
An issue directly related to the utilization of softwood tops, discussed in Recommendation 5, is the
compliance reporting that was done for it. The audit team observed large conifer tops in slash piles on a number of harvest blocks that were not properly reported in FOIP. None of the compliance inspection
reports filed by the Company covering the period from November 18, 2009 to March 31, 2011 identified
large conifer tops in the slash piles as an Operational Issue related to conifer utilization. These omissions occurred, despite the fact that photos attached to two of the reports (one Company and one MNR) clearly
show the large tops. The audit team observed merchantable conifer (large tops) in slash piles in blocks 808, 934, 947, 954, 961 and 968.
The company contends that operations were not complete in the sense that it still intended to return for
biomass once the cogeneration plant was running. This intent was documented in comments by JRM inspectors on some inspection reports. The company cited this as evidence that they were not trying to
conceal anything and that their intentions were clear regarding the recovery and use of this material as bio-energy feedstock.
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This photo is associated with NFM Inspection Report # 519688 for Block 961
Discussion:
NFM inspectors should have reported an Operational Issue on each block in which conifer tops containing merchantable wood were being produced. According to the Forest Operations Inspection Handbook, An Operational Issue describes a situation that arises when operations vary from normal operating practices or from the standards and requirements in the Forest Management Plan, Annual Work Schedule or Forest Operations Prescription, or from the terms and conditions of licenses, permits or other approval documents, as identified during a forest operations compliance inspection. An Operational Issue makes or has the potential to make a forest operation non compliant with the regulatory framework.
In this case, the fact that MNR had not granted permission to NFM to use a larger conifer topping
standard created an Operational Issue on harvest blocks where large tops were being generated. The onus is on the licence holder’s inspector to report Operational Issues, allowing MNR inspectors to verify
such reports so that follow-up actions can occur.
Some completed harvest inspection reports did mention unutilized merchantable wood and the Company’s plan for it.
Conclusion:
Some harvest compliance inspection reports submitted by NFM during implementation of the 2006-26 FMP were not accurate in that inspectors did not identify topping of conifer at 14 cm as an Operational
Issue. MNR compliance reports also failed to identify this issue.
Recommendation 7: NFM and MNR Wawa District review compliance reporting practices and ensure that there is a clear understanding and consistent application of the concept of Operational Issues
associated with compliance inspection reporting requirements.
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APPENDIX 2 – MANAGEMENT OBJECTIVES TABLES
Table 3. Summary of the Status of the 2006-26 FMP Objectives
Objective Auditor Assessment and Comments
Forest Diversity
Forest Unit Area Met – FTG surveys appear to be accurately
representing stand composition
Forest Age Structure Met - as estimated through modeling
Landscape and Stand Level Disturbances Calculation of disturbance patch size cannot be compared to 2006 targets because of an error in
setting the targets – two size classes showed movement toward 2011 targets, 4 showed movement
away, one showed no movement, and one met the 2011 target; harvest blocks operated within approved
boundaries, residual structure retained as planned
Social and Economic
Wood Supply Not met – shortfalls in all target groups due to market conditions and mill closures
Tourism and Recreation Met - AOC prescriptions for remote tourism facilities developed and implemented; road restrictions in place
and decommissioning occurred in some area
Cultural Heritage Met - AOC prescription for high potential cultural heritage areas developed and implemented – no
evidence of incursions into AOCs
First Nation Met – consultations took place as required; no non-compliances for First Nation values
Provincial Parks Met – no non-compliances reported
Forest Cover
Marten Habitat Met – 60 year projections for suitable habitat were
within target range
Moose Habitat Met – targets for winter and summer habitat modeled
as above minimum levels
Rare Flora, Fauna and Ecosystem Met – harvest deferrals and AOCs provide protection; no harvesting occurred in unique red pine stands
Water Quality and Fish Habitat Partially Met – two not in compliance reports – no
damage to water quality or fisheries noted
Woodland Caribou Habitat Met – modeling of selected management alternative
maintains caribou habitat above lower bound of natural variation
Silviculture
Silviculture Program Partially Met – targets achieved in most cases;
shortfalls in mechanical site preparation and pre-
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Objective Auditor Assessment and Comments
commercial thinning
Productive Forest Area and Forest
Productivity
Met – estimates prepared by JFR indicate area in roads and landings is below target maximum
Application of Forest Herbicides Met – total herbicide applies was 65% of planned; JRM prepared detailed silviculture prescriptions with
targeted herbicide applications
Fire Process Partially Met – approximately 50% of the slash pile burning program was completed; no prescribed burns
were undertaken
Tree Genetics and Seedling Quality Met – artificial renewal program utilizes seed orchard
seed from approved and tested seed sources; aspen
renewed through natural regeneration
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APPENDIX 3 – COMPLIANCE WITH CONTRACTUAL OBLIGATIONS
Table 4. Compliance with Contractual Obligations
Licence Condition Licence Holder Performance
Payment of Forestry Futures and Ontario Crown
charges
Not met – the company was in arrears
approximately $2.8 million – a repayment agreement was signed with MNR
Wood supply commitments, MOAs, sharing
arrangements, special conditions
Met – volumes were available although some
commitment holders are no longer in business
Preparation of FMP, AWS and reports; abiding by the FMP, and all other requirements of the FMPM and
CFSA
Met – plans and reports prepared as required
Conduct inventories, surveys, tests and studies;
provision and collection of information in accordance
with FIM
Met – inspections conducted as required (e.g.
FTG, compliance)
Wasteful practices not to be committed Partially met – intentional topping of conifer
above the minimum standard occurred during the
final two years of the audit term
Natural disturbance and salvage SFL conditions must
be followed
N/A - No salvage operations required during
audit term
Protection of the licence area from pest damage, participation in pest control programs
N/A - No pest control programs required during audit term
Withdrawals from licence area N/A - No withdrawals during audit term
Audit action plan and status report Partially met – action plan submitted on time; status report submitted nine months late; most
recommendations were satisfactorily addressed – see Section 4.8 for comments
Payment of forest renewal charges to Forest
Renewal Trust (FRT)
Not met - the company was in arrears
approximately $800,000 – a repayment plan is now in place
Forest Renewal Trust eligible silviculture work Met – all maps and records associated with the
sample sites viewed by the audit team were associated with eligible silviculture work
Forest Renewal Trust forest renewal charge analysis Met – analysis completed for 2011-21 FMP
Forest Renewal Trust account minimum balance Not met – the company had a minimum balance shortfall of approximately $272,000. A
repayment agreement was signed with MNR
Silviculture standards and assessment program Met - The Company is delivering a cost-effective forest renewal and assessment program
consistent with its contractual obligations
Aboriginal opportunities Met - opportunities identified; Aboriginal communities acknowledged that some
opportunities were implemented
Preparation of compliance plan Met – the company prepared the required compliance plans
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Licence Condition Licence Holder Performance
Internal compliance prevention/education program Met – the company conducted compliance
education activities
Compliance inspections and reporting; compliance
with compliance plan
Partially met – the company maintained an
adequate level of compliance inspections but did
not report Operational Issues associated with utilization
SFL forestry operations on mining claims Met – MNR Wawa District and JRM worked
cooperatively and reasonable efforts were made to identify interested and affected persons and
organizations
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APPENDIX 4 – AUDIT PROCESS
The Independent Forest Audit Process and Protocol (IFAPP) was developed by MNR to provide a
comprehensive and consistent method of evaluating forest management activities on Crown land. The
IFAPP (2011) states that the purpose of an Independent Forest Audit is to:
a) assess to what extent forest management planning activities comply with the Forest Management
Planning Manual (FMPM) and the Crown Forest Sustainability Act (S.O. 1994, c. 25) (CFSA);
b) assess to what extent forest management activities comply with the CFSA and with the forest
management plans, the manuals approved under the CFSA and the applicable guides;
c) assess the effectiveness of forest management activities in meeting the forest management
objectives set out in the forest management plan, as measured in relation to the criteria
established for the audit;
d) compare the forest management activities carried out with those that were planned;
e) assess the effectiveness of any action plans implemented to remedy shortcomings revealed by a previous IFA;
f) review and assess a licensee’s compliance with the terms and conditions of the forest resource
licence.
The IFAPP is based on eight guiding principles and contains 120 procedures that are applicable to the
Nagagami Forest. The audit procedure serves as a framework to provide a structured approach to evaluating whether or not forest management activities meet the requirements governing forestry
practices on Crown land in Ontario. The guiding principles are:
Commitment
Public Consultation and Aboriginal Involvement
Forest Management Planning
Plan Assessment and Implementation
System Support
Monitoring
Achievement of Management Objectives and Forest Sustainability
Contractual Obligations
MNR categorized most of the IFA procedures based on complexity and their potential impact on forest
sustainability. The IFAPP directs the audit team to assess through sampling, per audit principle and associated criteria, the three categories of procedures as follows:
Administrative procedures – low risk: 20-30% of low risk procedures to be assessed;
Administrative but also having a bearing on sustainable forest management – medium risk: 50-75% of medium risk procedures to be assessed; and,
Procedures directly related to sustainable forest management – high risk: 100% of high risk procedures to be assessed.
Table 5 summarizes the number of procedures selected by the audit team for audit based on the direction provided by the IFAPP.
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Table 5. IFA Procedures Selected by the Audit Team
IFA Procedures Audited, by Risk Category
Principle
Low Risk Medium Risk High Risk
Applicable
Procedures
Not Audited
Ap
pl i
ca
ble
(#
)
Se
lecte
d (
#)
% A
ud
ite
d
Ap
pli
ca
ble
(#
)
Se
lecte
d (
#)
% A
ud
ite
d
Au
dit
ed
#
1. Commitment 2 2 100 - - - -
2. Public Consultation and Aboriginal
Involvement - - - 6 5 83 2 2.2.1
3. Forest Management Planning 5 3 60 9 7 78 38
3.1.1.1,
3.1.2.1, 3.2.2.1,
3.6.2.2
4. Plan Assessment &
Implementation 1 1 100 1 1 100 9
5. System Support - - - 1 1 100 1
6. Monitoring 1 1 100 6 5 85 11 6.5.4
7. Achievement of Management
Objectives and Forest Sustainability - - - - - - 15
8. Contractual Obligations - - - 4 4 100 8
Totals 9 7 - 27 23 - 84
Note: 100% of applicable high risk procedures were audited.
The audit process for the Nagagami Forest IFA consisted of seven components:
1. Audit Plan: KBM prepared an audit plan that described the schedule of audit activities, audit team members and their qualifications, audit participants, and auditing methods. The audit plan
was submitted to JFR, MNR, the Forestry Futures Trust Committee (FFTC), and the Chair of the
Nagagami Forest LCC.
2. Public Consultation: Through individual letters mailed in August, 2012, KBM advised a sample of
MNR’s FMP mailing list that an audit would be taking place and invited their input. The letter, together with a survey form, was mailed to all businesses and organizations, and a
representative sample of one-third of the individuals listed in the FMP mailing list (as provided by MNR Wawa District). The list included tourist operators, trappers, baitfish licence holders, bear
management area holders, local municipalities and government agencies, independent loggers,
logging contractors, shareholders and other special interest groups. The survey was also available to the general public on the KBM website (www.kbmrg.com).
3. Newspaper ads were published in four area newspapers prior to the pre-audit meeting advising the public of the upcoming audit. As per the requirements of the IFAPP, the notices identified
the purpose of the audit and invited the public to submit comments to the LCC Chair or directly
to KBM.
4. Aboriginal Engagement: MNR Wawa District provided KBM with contact information for the five
Aboriginal communities within or adjacent to the Nagagami Forest. A letter was sent to each of
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KBM Forestry Consultants Inc. 36
the Aboriginal communities on the list inviting them to provide input to the audit. The letter
asked for their input and encouraged them to contact KBM if they wish to participate in the audit or if they require more information before making a decision. KBM also offered to arrange in-
person meetings with each of these Aboriginal communities.
5. Field Site Selection: The audit team conducted a preliminary site selection prior to the pre-audit meeting. Annual Work Schedules and Annual Reports were used to ascertain the amount and
type of forest operations carried out on the Forest during the audit period. A stratified random sample of sites was then selected to ensure that selected sites were representative of a cross
section of all activities conducted on the Forest during the audit period. The auditees were informed of the site selection for the field visit.
6. Pre-audit Document Review: Prior to the five-day site visit, the audit team reviewed documents
provided by the auditees, including the:
a. 2006-26 and 2011-21 FMPs for the Nagagami Forest;
b. Annual Work Schedules and Annual Reports associated with the above FMPs;
c. Nagagami Forest Independent Forest Audit 2002-2007 Report; and,
d. Nagagami Forest 2002-2007 Independent Forest Audit Action Plan and the Nagagami
Forest 2002-2007 Independent Forest Audit Action Plan Status Report.
7. On-Site Audit: The objectives of the field site visits were to confirm that activities were
conducted according to plan, that they conformed with provincial laws, regulations, and guidelines, and that they were effective. The site visit began on September 17, 2012. Two days
were spent in the field, with the remainder spent reviewing documents and conducting interviews.
Table 6 presents the sampling intensity for each forestry activity examined as part of the field
site visits.
The closing meeting was held in Hornepayne on September 22, 2012. The meeting provided a
forum for the audit team to present and discuss preliminary audit findings with the auditees.
Table 6. Audit Sampling Intensity
Activity
Total Area or
Number (2007-2012)
Sample Area
Sample Size
(%)
Harvest clearcut (ha) 12,013 1,470 12
Site Preparation mechanical (ha) 225 155 53
Site Preparation chemical (ha) 291 159 71
Plant (ha) 7,244 737 10
Tend chemical (ha) 2,169 237 11
Free-to-Grow (ha) 26,012 26,012 13
Area of Concern Categories (#) Minimum 10% sample achieved
Road Construction (km) Minimum 10% sample achieved
Road Maintenance (km) Minimum 10% sample achieved
Specified Procedures Review (ha) 11,182 1,554 14
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8. Audit Report: The audit results are presented in this report, following a brief description of the
audit process and the forest licence area under review. Within the report, the audit team has made recommendations to address instances of a non-conformance to a law and/or policy, or an
identified lack of effectiveness in forest management activities.
Recommendations from this audit must be addressed in an action plan developed by NFM and MNR Wawa District, with input and review by MNR Regional and Forest Management Branch
representatives. MNR Forests Branch will develop an action plan to address the recommendation applicable to Corporate MNR.
Suggestions are no longer highlighted in audit reports, nor will they be addressed in action plans. Any suggestions of the audit team have been incorporated within the regular text of this report.
Public Response
Five comments were received by the audit team from members of the public responding to a mail-out from KBM. Most responds were interested in recreational use of the Forest or conservation. Issues
focused on access restrictions to remote tourism lakes and the Crown Land Use Atlas Harmonization (CLUAH) land use exercise. Two survey respondents noted good operational practices on the Forest.
IFAPP procedure 2.2.1 (Public consultation process) was not selected for audit due to sampling of
procedures, as permitted by the IFAPP (see Table 5 and the associated discussion, above).
Local Citizens Committee
Letters were mailed to 100% of current members of the LCC to notify them of the audit and invite their input. Follow-up phone calls and e-mails were sent approximately two weeks after the letters were sent.
One member submitted a written response, while two members requested interviews while the audit team was on-site. One former member submitted a written response.
Aboriginal Communities
Letters were sent to the five Aboriginal communities recognized by MNR to be in or adjacent to the forest management area, inviting them to participate in the audit. The letter explained that their input is
welcomed and encouraged them to contact KBM if they wished to participate in the audit or if they required more information before making a decision. In-person discussions were held with
representatives of all the Aboriginal communities with the exception of Pic Mobert First Nation, which
declined the invitation to participate.
Overlapping Licensees, Contractors and Commitment Holders
All businesses listed in the FMP mailing list provided by the MNR Wawa District were sent the one-page KBM survey and letter soliciting input to the audit. Representatives of the two commitment holders on
the Forest participated in portions of the audit.
SFL Holder
Planning and operations staff of Jackfish River Management participated in all aspects of the audit,
including provision of documentation, attendance at meetings, participation during interviews and as guides during the field audit. The audit team appreciates the support provided by NFM and JRM staff
during the audit.
Ministry of Natural Resources
MNR District staff participated in all aspects of the audit. Interviews were held with the District Manager,
Area Supervisors, Management Forester, Biologist, Technicians and other support staff. MNR District personnel and a Regional representative also accompanied the audit team in the field during the truck
day.
Forestry Futures Trust Committee
A contract staff member for the Committee participated in the pre-audit meeting and closing meeting.
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KBM Forestry Consultants Inc. 38
APPENDIX 5 – LIST OF ACRONYMS
AOC Area of Concern
AR Annual Report
AWS Annual Work Schedule
CLUAH Crown Land Use Atlas Harmonization
CFSA Crown Forest Sustainability Act
DM District Manager
FFTC Forestry Futures Trust Committee
FIM Forest Information Manual
FMP Forest Management Plan
FMPM Forest Management Planning Manual
FOIP Forest Operations Information Program
FOP Forest Operations Prescription
FRI Forest Resource Inventory
FRT Forest Renewal Trust
FTG Free-To-Grow
HPA High Priority Aspect
IFA Independent Forest Audit
IFAPP Independent Forest Audit Process and Protocol
JRM Jackfish River Management
KBM KBM Forestry Consultants Inc.
LCC Local Citizens Committee
MAFA Moose Aquatic Feeding Area
MNR Ministry of Natural Resources
NFM Nagagami Forest Management Ltd.
OSB Oriented Strand Board
RD Regional Director
RSA Resource Stewardship Agreement
RPF Registered Professional Forester
SFL Sustainable Forest Licence
SFMM Strategic Forest Management Model
SGR Silviculture Ground Rule
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KBM Forestry Consultants Inc. 39
APPENDIX 6 – AUDIT TEAM MEMBERS AND QUALIFICATIONS
Name/Role Responsibilities Credentials
Rod Seabrook
Lead Auditor
Wildlife & Ecology
Access
Overall audit coordination and oversight of activities of the audit team; assess aspects related to wildlife, ecology and access; lead the assessment of achievement of management objectives, forest sustainability and contractual obligations.
M.Sc. Biology; EP(EMSLA); Associate Member R.P.F; 32 years forestry experience in Ontario; principal area of practice is forest management and environmental auditing; 12 years of auditing experience; participated in 25 Independent Forest Audits for the Province of Ontario. IFA experience covers all Crown managed forest types in Ontario; conducts sustainable forest management audits under the various recognized sustainable forest management standards
Peter Hynard
Harvesting
Access
Compliance
Assess planning and harvest operations; assess compliance program; assist in assessment of achievement of management objectives and forest sustainability and contractual obligations.
R.P.F., Consulting forester since 2006; Previously worked as a forester with MNR. Provincial Coordinator for the Crown Land Roads and Water Crossings Initiative as well as Project Manager for the Northeast/ Southcentral Hardwood Project. Auditor on one previous IFA
Laird Van Damme
Silviculture
Planning
Assess silviculture, planning and operations; assist in assessment of achievement of management objectives and forest sustainability and contractual obligations.
R.P.F., M.Sc.F.; 27 years experience as a practising forester, educator and consultant; primary areas of practice are silviculture, forest management and forest research; completed ISO 14001 EMS Lead Auditor training; worked on 18 previous IFAs as either Lead, Harvest or Planning Auditor.
John MacGillivray
Modeling
Review SFMM strategic planning. M.Sc.F.; Over 10 years forest management planning experience; wood supply analysis for 12 forest management plans
Jennifer Keith
Consultation Auditor
Public Consultation and Aboriginal involvement in forest management planning and compliance with contractual obligations related to Aboriginal opportunities.
M.A.; An independent consultant and a PhD candidate with the Indigenous Governance Program at the University of Winnipeg. Aboriginal consultation auditor on two previous IFAs
Ian Dunn
Secretariat
Assist with audit logistics and undertake certain low or medium risk audit procedures including aspects of public consultation.
M.F.C.; Involved in forest management planning projects and Independent Forest Audits for KBM.