RE: Docket No. 00-108-7
Proposed rule for Chronic Wasting Disease Herd Certification Program and Interstate Movement
of Farmed or Captive Deer, Elk, and Moose.
SUBMITTED BY: Bear Mountain Ranch
Kremmling, CO
As proposed, Section 55.22(a) would prohibit the importation of any animal into a herd that has
had a CWD positive animal. If implemented, this restriction would be extremely detrimental to
my family’s operation at Bear Mountain Ranch, and at least two other hunting ranches in
Colorado.
Bear Mountain Ranch (“BMR”) is an elk breeder and an operator of an elk hunting preserve in
northwest Colorado. BMR has been a licensed alternative livestock farm since 2000. Our first
elk death that tested positive for CWD occurred in 2005. Of course, the ranch was quarantined
immediately. Also immediately, we began working closely with the Colorado State Veterinarian,
regional representatives of APHIS and the Colorado Division of Brand Inspection to learn and
implement best practices to deal with the disease.
Ultimately we completed negotiation of a herd plan with Colorado Division of Wildlife (“DOW”)
and Colorado Department of Agriculture (“CDA”). The agreement is restrictive in many ways
including that none of our animals may leave the premises alive unless going directly to
slaughter. Detailed restrictions also apply to the disposal of all parts of such carcasses. We
gratefully follow recommendations that we have received from APHIS, CDA, DOW and Colorado
State University (“CSU”) in our quest to rid our herd of the disease.
We have long known that the CWD prion binds to minerals in the soil. Recent developments in
the ability to find the prion in soil and water as well as the rectal biopsy live animal test make our
goal of returning to 5 year CWD-free status much more likely and at an earlier date. We have
had whole herd participation in the rectal biopsy testing for each of the last three years. Also we
have provided samples to CSU for testing of soil and water from numerous places on our
licensed premises.
Under our herd plan we are permitted to import animals to our premises. This has allowed us to
reduce our herd population and animal density because we no longer have to raise to maturity all
animals in our hunting preserve. Bull elk are mature at age seven.
The ability to import allows us to continue to operate while fighting the disease with greater hope
of prevailing because an important element of eliminating the disease is reduced population
density. This reduction has also significantly lowered operating costs.
If we reach our goal of 60 month CWD-free status, farms that only raise elk are unlikely to
purchase elk from us, but other hunting ranches that have experienced CWD (and therefore
would be subject to herd plan requirements similar to ours) might want to purchase bulls from us.
This is the second reason that permitting the import of elk to CWD positive ranches is important
to us.
In respect of your proposed 25-mile radius restriction on import (Section 81.4), we believe this is
arbitrary and ill considered. In Colorado, the DOW has worked to understand the disease since
its initial discovery decades in the past. Also DOW knows, from many years study, the
migratory pattern of each of herds in different part of our state. DOW keeps statistics not only on
areas where the disease has been found but also the changing prevalence in each of its game
management units. DOW might well be comfortable with a five-mile radius in one location and
not comfortable with a 30-mile radius in another location.
The Colorado State Veterinarian works closely with the DOW in approving all animal movements
into and within Colorado. Our state agencies know our facts and should continue to govern
animal movements in our state. The same is virtually certain to be true in all other states.
Respectfully submitted,
John M. Draper
Owner
Comment from John Draper
This is comment on Proposed Rule
Chronic Wasting Disease Herd Certification Program and Interstate Movement of Farmed or Captive Deer, Elk, and Moose
View Comment
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