June 12, 2008
Federal Docket No. APHIS-2007-0144
Regulatory Analysis and Development
Plant Protection Development
Animal & Plant Health Inspection Services
Station 3A-03.8
4700 River Road Unit 118
Riverdale, Maryland 20737-1238
To Whom It May Concern:
The Florida Department of Agriculture and Consumer Services’ Division
of Plant Industry (FDACS’ DPI) has reviewed Docket No. APHIS-2007-
0144, “Importation of Baby Squash and Baby Courgettes from Zambia” and offers
the following comments.
Florida is unique in climate, geography, and crop diversity in the United
States and is justifiably one of the highest risk areas for exotic agricultural pest
and disease introductions and establishment. Therefore, we are concerned about
the proposal to import squash and courgettes from Zambia and the risk of exotic
pest introductions. All the pests found in Zambia associated with the proposed
product could become established in Florida. With the Dacus, Spodoptera, and
Diaphania species all being internal feeders, inspection and detection at origin and
destination are problematic and place Florida at high risk of introduction of these
unwanted biological invaders.
The use of systems approaches to achieve phytosanitary security
must be carefully developed and applied. Oversight of the program is arguably the
most critical component. It is very troubling to read in the proposal that oversight
of the program will be carried out by the Zambia National Plant Protection
Organization or its approved designee? What does this mean? Who is the
designee and who approves them?
Docket No. APHIS-2007-0144
June 12, 2008
Page Two
Further, the proposal indicates APHIS can monitor the production sites
before and during harvest. The word “can” is meaningless and, therefore, should
read APHIS will monitor the production sites.
The use of McPhail traps as a detection tool is also problematic as
they have very limited sensitivity in detecting low-level fruit fly populations.
The two pests that have the highest unmitigated risk, Helicoverpa and
Spodoptera, are of great concern to us in Florida. Yet, there are no real mitigative
measures to exclude these pests other than insect exclusionary greenhouses.
There is no trapping requirement or specific inspection regime to assure there
have been no breaches of greenhouses.
In reviewing this proposal, the cumulative pest introduction risk is too
high and the mitigative measures too low; therefore, we do not support the request
and respectfully ask the USDA-APHIS to withdraw it to provide reasonable and
well-justified safeguards to U.S. agricultural interests.
As Florida is a particularly high-risk sentinel area and has a very large
stake in pest exclusion programs, it would be wise and prudent to include
FDACS’ expertise in the development and review of phytosanitary protocols much
earlier in the development process.
Sincerely,
CHARLES H. BRONSON
COMMISSIONER OF AGRICULTURE
Richard D. Gaskalla
Division Director
RDG/dh
Comment from RICHARD GASKALLA, Florida Department of Agriculture and Consumer Services
This is comment on Proposed Rule
Importation of Baby Squash and Baby Courgettes From Zambia
View Comment
Related Comments
Public Submission Posted: 06/18/2008 ID: APHIS-2007-0144-0004
Jul 15,2008 11:59 PM ET