98-28880. National Organic ProgramIssue Papers  

  • [Federal Register Volume 63, Number 208 (Wednesday, October 28, 1998)]
    [Proposed Rules]
    [Pages 57624-57626]
    From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
    [FR Doc No: 98-28880]
    
    
    ========================================================================
    Proposed Rules
                                                    Federal Register
    ________________________________________________________________________
    
    This section of the FEDERAL REGISTER contains notices to the public of 
    the proposed issuance of rules and regulations. The purpose of these 
    notices is to give interested persons an opportunity to participate in 
    the rule making prior to the adoption of the final rules.
    
    ========================================================================
    
    
    Federal Register / Vol. 63, No. 208 / Wednesday, October 28, 1998 / 
    Proposed Rules
    
    [[Page 57624]]
    
    
    -----------------------------------------------------------------------
    
    DEPARTMENT OF AGRICULTURE
    
    Agricultural Marketing Service
    
    7 CFR Part 205
    
    [TM-98-00-7]
    RIN 0581-AA40
    
    
    National Organic Program--Issue Papers
    
    AGENCY: Agricultural Marketing Service, USDA.
    
    ACTION: Proposed Rule; request for comments on Issue Papers.
    
    -----------------------------------------------------------------------
    
    SUMMARY: Agricultural Marketing Service (AMS) is seeking comments on 
    three papers that address certain issues raised in the comments 
    received on the National Organic Program proposed rule published in the 
    Federal Register on December 16, 1997. These issue papers which address 
    livestock confinement, livestock health care, and certification 
    termination, and comments received on them will be considered during 
    the development of a revised National Organic Program proposed rule.
    
    DATES: Comments must be submitted on or before December 14, 1998.
    
    ADDRESSES: Interested persons are invited to submit written comments on 
    these issues to: Eileen S. Stommes, Deputy Administrator, USDA-AMS-TM-
    NOP, Room 4007-S, AG Stop 0275, P.O. Box 96456, Washington, D.C. 20090-
    6456. Comments may also be sent by fax to (202) 690-4632 or via e-mail 
    to: NOPIssue Papers@usda.gov. Additionally, USDA plans to accept 
    comments via the National Organic Program home page at a future date. 
    Notification of acceptance of comments by this form will occur through 
    an additional Federal Register notice.
    
    FOR FURTHER INFORMATION CONTACT: T. Keith Jones, Program Manager, USDA-
    AMS-TM-NOP, Room 2510-S, AG Stop 0275, P.O. Box 96456, Washington, D.C. 
    20090-6456. Phone (202) 720-3252.
    
    SUPPLEMENTARY INFORMATION: AMS is seeking comments on three papers that 
    address certain issues raised during the National Organic Program's 
    proposed rule comment period. These issue papers which address 
    livestock confinement, livestock health care, and certification 
    termination, and comments received on them will be considered during 
    the development of a revised National Organic Program proposed rule.
        The issue papers are: Issue Paper 1. Livestock Confinement in 
    Organic Production Systems; Issue Paper 2. The Use of Antibiotics and 
    Parasiticides in Organic Livestock Production; and Issue Paper 3. 
    Termination of Certification by Private Certifiers. These issue papers 
    are being published in an effort to provide the opportunity for public 
    input. USDA is committed to a process that is open to all interested 
    parties.
        All comments, whether mailed, faxed, or submitted via the Internet, 
    will be available for viewing at the USDA-AMS, Transportation and 
    Marketing Programs, Room 2945-South Building, 1400 Independence Ave., 
    S.W., Washington, D.C., from 9:00 a.m. to 1:00 p.m., and from 2:00 p.m. 
    to 4:30 p.m., Monday through Friday (except official Federal holidays). 
    Persons wanting to visit the USDA South Building to view comments 
    received in response to this proposal are requested to make an 
    appointment in advance by calling Gayle Patterson at (202) 720-3252.
        The issue papers are published below.
    
    Issue Paper 1. Livestock Confinement in Organic Production Systems
    
    1. Goal
    
        USDA's goal is to establish clear, consistent regulations that 
    stimulate the growth of the organic livestock sector, satisfy consumer 
    expectations and allow organic livestock producers flexibility in 
    making site-specific, real-time management decisions.
    
    2. Issue
    
        Commenters on USDA's proposed rule, published December 16, 1997 (62 
    FR 65850), assert that the language in the proposed rule,
    
    if necessary, livestock may be maintained under conditions that 
    restrict the available space for movement or access to the outside,
    
    section 205.15(b), creates a significant loophole for factory farming 
    of livestock despite the other requirements for access to outdoors and 
    space for movement. USDA believes that commenters are concerned that 
    the term if necessary, could be broadly interpreted by public and 
    private certifiers.
    
    3. Background
    
        The Organic Foods Production Act (7 U.S.C. 6501-6522) (OFPA) is 
    silent on livestock confinement. In its proposed rule, USDA 
    specifically requested public comment on the conditions under which 
    animals may be maintained, specifically with regard to the available 
    space for movement and access to the outdoors. Many commenters 
    advocated USDA's adoption of the National Organic Standards Board 
    (NOSB) recommendations on livestock production which recognize that 
    proper livestock management may provide for times when livestock are 
    confined. The NOSB said
    
    temporary indoor housing may be justified for: 1. inclement weather 
    conditions; 2. health, care, safety and well-being of the livestock; 
    and 3. protection of soil and water quality.
    
    Therefore, commenters who support the NOSB recommendations appear to 
    accept animal confinement as long as the criteria allowing confinement 
    are clearly delineated.
        In writing the proposed rule, USDA, like the NOSB, sought to 
    balance animal health issues, such as prevention of exposure to disease 
    and predators, with the concepts that organic management is soil-based, 
    and that animals should be allowed access to the soil. USDA envisioned 
    that the language of section 205.15(b) would allow the flexibility 
    needed for producers to confine animals during critical periods such as 
    farrowing.
        In keeping with this intent, USDA chose the term if necessary to 
    capture the spirit of the NOSB recommendation. The terms if necessary 
    or justified, used respectively in the proposed rule and the NOSB 
    recommendation, envisioned guidelines by which a producer or certifier 
    would benchmark the management decision. USDA believed that such 
    guidelines would be formulated during development of a program manual 
    for the National Organic Program. USDA also concluded that the proposed 
    livestock standards, when taken as a whole, serve as a delimiting 
    mechanism to large-scale confined animal feeding operations.
    
    [[Page 57625]]
    
        Many commenters indicated opposition to factory farming of 
    livestock. It is unclear how these commenters would define the term 
    factory farming and whether those who oppose factory farming are 
    concerned about animal space requirements, environmental issues, or a 
    particular business structure. Like NOSB and USDA, they believe that 
    routine, continuous confinement of livestock must be prohibited, but 
    some commenters stated that the proposed livestock requirements, which 
    required access to outdoors and space for movement, fall short of 
    consumer expectations for the production of organically grown 
    livestock. Therefore, a more detailed delineation of the criteria for 
    appropriate confinement may be necessary to satisfy the concerns of 
    these commenters.
    
    4. Options
    
        In response to these comments, USDA is considering the following 
    options:
    Option 1--Retain the Current Language but Elaborate on Its Intent
        Pros: Consistent with NOSB recommendations;
        Allows for producer/certifier flexibility;
        Allows for various animal space requirements.
        Cons: May not meet expectations of some commenters;
        Compliance verification could be difficult.
    Option 2--Establish Animal Space Requirements in Animal Feeding 
    Operations
        Pros: Addresses commenter concerns about animal space requirements.
        Simplifies animal space verification.
        Cons: An issue not addressed by NOSB or USDA;
        Criteria for space requirements could be difficult to establish;
        Further reduces producer/certifier flexibility.
    Option 3--Establish Requirements for Access to Pasture.
        Pros: Would satisfy commenter concerns;
        Would address animal safety concerns;
        Allows for various animal space requirements;
        Cons: An issue not addressed by NOSB or USDA;
        Compliance verification could be difficult;
        May not be appropriate for all species of livestock;
        Further reduces producer/certifier flexibility.
    Option 4--Explore Feasibility of Allowing Livestock Products Labeled as 
    Organic To Include Additional Label Claims, Such as Pasture-Raised, 
    Free-Range or Never Confined in a Feedlot
        Pros: Provides consumers with more product information;
        Allows producers to market to a further defined niche.
        Cons: Could cause consumer confusion;
        Could devalue the term organic;
        Limited verification for label claims.
        USDA is interested in exploring other options. Additionally, we are 
    seeking comments on the following questions: Should the rule ban 
    confined animal feeding operations? Would requiring access to pasture 
    satisfy commenters, including those who oppose factory farming? What 
    economic impact would these options have on organic livestock 
    producers? How would additional labeling claims affect the marketing of 
    organic livestock products?
        Would annual or semi-annual organic certification site visits be 
    sufficient to ensure that routine, continuous confinement is not 
    occurring? How should certifiers determine that confinement is being 
    employed in accordance with the regulations?
        How should access to pasture be defined? Should a species-by-
    species approach be taken? When permitted by regulation, should the 
    duration and frequency of confinement be resolved on a case-by-case 
    basis between certifier and producer?
    
    Issue Paper 2.--The Use of Antibiotics and Parasiticides in Organic 
    Livestock Production
    
    1. Goal
    
        USDA's goal is to establish clear, consistent regulations that 
    stimulate the growth of the organic livestock sector, satisfy consumer 
    expectations and allow organic livestock producers flexibility in 
    making site-specific, real-time management decisions.
    
    2. Issue
    
        In its proposed rule published December 16, 1997 (62 FR 65850), 
    USDA specifically requested public comment on the use of animal drugs 
    in the production of organic livestock. Many commenters advocated the 
    adoption of the National Organic Standards Board (NOSB) recommendations 
    on both antibiotics and parasiticides. The NOSB recommendations 
    prohibit the use of antibiotics and parasiticides in organic production 
    except under certain clearly delineated animal health conditions.
        Many other commenters go beyond the options proposed by USDA and 
    the NOSB by advocating an absolute prohibition on the use of 
    antibiotics in organic livestock production. Further, commenters who 
    specifically mention the use of parasiticides as an area of concern 
    assert that the language in the proposed rule defining the term routine 
    use of parasiticides as administering a parasiticide to an animal 
    without cause is inadequate. These commenters suggest that it would be 
    too easy for producers to find cause to administer a parasiticide, and 
    that they might therefore become reliant on parasiticides rather than 
    on preventative measures. Some commenters would prefer a complete ban 
    on the use of all animal medications, including antibiotics and 
    parasiticides, in organic livestock production.
    
    3. Background
    
        The OFPA prohibits only the use of subtherapeutic doses of 
    antibiotics and of synthetic internal parasiticides on a routine basis. 
    Since young animals are especially vulnerable to disease, USDA believed 
    there was sufficient justification for additional protection in the 
    early days of life. To ensure the health of animals during critical 
    periods, USDA also allowed the therapeutic use of antibiotics in dairy 
    and breeder stock because of the animals' longevity and the potential 
    for infections arising from pregnancy and delivery. USDA attempted to 
    capture the statutory prohibition on routine use of parasiticides by 
    defining such use as, administering a parasiticide to an animal without 
    cause.
    
    4. Options
    
        In light of these comments, USDA is analyzing options to assist in 
    determining the proper role for antibiotics and parasiticides in 
    organic livestock production. Options under consideration, along with 
    USDA's assessment of the pros and cons of each option, are listed 
    below:
    Option 1--Prohibit all use of antibiotics and parasiticides.
        Pros: Consistent with many comments.
        Cons: Animal health could be adversely affected, particularly that 
    of young animals;
        Inconsistent with NOSB recommendations;
        Compliance verification could be difficult;
        Could limit industry growth by preventing the production of some 
    types of livestock in specific geographic areas.
    
    [[Page 57626]]
    
    Option 2--Prohibit the Use of All Animal Medications, Other Than 
    Vaccinations, Including Antibiotics and Parasiticides.
        Pros: Consistent with some comments.
        Cons: Animal health could be adversely affected, particularly that 
    of young animals;
        Inconsistent with NOSB recommendations;
        Compliance verification could be difficult;
        Could limit industry growth by preventing the production of some 
    types of livestock in specific geographic areas.
    Option 3--Allow the Therapeutic Use of Antibiotics and the Non-Routine 
    use of Parasiticides Under Specific Animal Health Conditions.
        Pros: Consistent with NOSB recommendations;
        Allows for the protection of animal health;
        Animal production could be enhanced;
        Provides producer/certifier flexibility to respond to rapidly 
    changing animal health conditions.
        Cons: Compliance verification could be difficult.
        USDA is interested in exploring other options. Additionally, we are 
    seeking comments on the following questions: What economic impact would 
    the prohibition of all medication, including antibiotics and 
    parasiticides, have on organic livestock producers?
        Under what conditions, if any, could an animal for slaughter 
    receive a synthetic internal parasiticide? An external parasiticide? 
    What about breeding stock or dairy animals?
        Should we make provisions for the use of synthetic parasiticides 
    where other measures has proven ineffective?
        Would annual or semi-annual organic certification site visits be 
    sufficient to ensure that preventative measures are being carried out 
    and that antibiotics and parasiticides are being administered in 
    accordance with the Act and its regulations? When permitted by 
    regulation, should the use of antibiotics and parasiticides be resolved 
    on a case-by-case basis between certifier and producer?
    
    Issue Paper 3. Termination of Certification by Private Certifiers
    
    1. Goal
    
        USDA's goal is to implement the Organic Foods Production Act (OFPA) 
    at the local level, while utilizing, to the extent possible, the 
    existing infrastructure of organic certification.
    
    2. Issue
    
        Many commenters on USDA's proposed rule, published December 16, 
    1997 (62 FR 65850), assert that the proposed process for termination of 
    certification would be unduly bureaucratic and would complicate local 
    certifiers' efforts to ensure the integrity of the organic label.
    
    3. Background
    
        In the proposed rule, USDA sought to balance the public policy goal 
    of withdrawing certification from a farmer or handler who violates the 
    Act against the constitutional protections afforded to entities 
    certified under the OFPA. The National Organic Standards Board did not 
    make any specific recommendation on this issue. Under the OFPA, 
    accredited certifiers are agents of the Secretary in carrying out their 
    responsibilities under the Act. Certifiers' authority is derived from 
    their accreditation under the OFPA.
        USDA, acting directly or through accredited certifiers, cannot 
    suspend or revoke a certification once granted without providing due 
    process of law, which requires providing an opportunity to be heard 
    before the suspension or revocation of certification.
        A certified entity must be afforded the opportunity for a hearing 
    before certification can be suspended or revoked. Although private 
    certifiers have expressed considerable dissatisfaction with this 
    process, there is no legal mechanism to allow private certifiers to 
    suspend or revoke certifications. Thus, section 205.219(b) of our 
    proposed rule, stated that if a certifying agent had reason to believe 
    that a certified operation had violated the Act, the certifying agent 
    would recommend that USDA terminate certification. After review of the 
    recommendation, the Administrator of the Agricultural Marketing Service 
    could institute proceedings to terminate certification.
    
    4. Options
    
        USDA continues to review comments on this issue and to consider 
    various alternatives that would achieve the objectives expressed in the 
    comments. Options under consideration, along with USDA's assessment of 
    the pros and cons of each option, are listed below. USDA welcomes 
    alternative suggestions.
    Option 1--Create a Uniform and Efficient Information System To Inform 
    the Public of USDA Actions To Suspend or Revoke Certification
        Pros: Would provide timely information concerning the compliance 
    status of certified entities;
        Provides necessary and timely information about the compliance 
    status of a certified entity during the pendency of an enforcement 
    action.
        Cons: Does not fulfill commenters' desire for revocation authority 
    at the certifier level;
        Does not fulfill commenters' desire for immediate revocation, since 
    certification would remain in full effect pending case resolution.
    Option 2--Provide for an Expedited Process, Including Special Rules of 
    Practice and Shortened Time Frames, To Review Certifier Recommendations 
    and Make Determinations
        Pros: Would provide due process;
        Could result in quicker resolution of enforcement issues;
        Might reduce enforcement costs for all parties to the dispute.
        Cons: Does not fulfill commenters' desire for revocation authority 
    at the certifier level;
        Does not fulfill commenters' desire for immediate revocation, since 
    certification would remain in full effect pending case resolution.
    Option 3--Design an Informal Alternative Procedure To Resolve 
    Enforcement Issues on an Expedited Basis Short of an Adjudicatory 
    Hearing
        Pros: Would provide due process;
        Could result in quicker resolution of enforcement issues;
        Might reduce enforcement costs for all parties to the dispute.
        Cons: Does not fulfill commenters' desire for revocation authority 
    at the certifier level;
        Does not fulfill commenters' desire for immediate revocation, since 
    certification would remain in full effect pending case resolution.
        A 45-day comment period is provided for interested persons to 
    provide comment. This period is deemed appropriate because any comments 
    received will be considered in the development of a revised National 
    Organic Program proposed rule.
    
        Authority: 7 U.S.C. 6501-6522.
    
        Dated: October 23, 1998.
    Eileen S. Stommes,
    Deputy Administrator Transportation and Marketing.
    [FR Doc. 98-28880 Filed 10-23-98; 2:54 pm]
    BILLING CODE 3410-02-P
    
    
    

Document Information

Published:
10/28/1998
Department:
Agricultural Marketing Service
Entry Type:
Proposed Rule
Action:
Proposed Rule; request for comments on Issue Papers.
Document Number:
98-28880
Dates:
Comments must be submitted on or before December 14, 1998.
Pages:
57624-57626 (3 pages)
Docket Numbers:
TM-98-00-7
RINs:
0581-AA40: National Organic Program
RIN Links:
https://www.federalregister.gov/regulations/0581-AA40/national-organic-program
PDF File:
98-28880.pdf
CFR: (1)
7 CFR 205