I am very concerned about the risks posed by genetically engineered
crops--especially those crops engineered to withstand repeated applications of
herbicides and crops that produce drugs and industrial chemicals. They threaten
human health, family farmers, wildlife, and the environment. I urge USDA to
withdraw the proposed rule, publish the Environmental Impact Statement, and
suspend all new GE crop approvals in the interim.
After USDA releases the EIS, a comment period of at least 90 days is needed so
the public has the opportunity to fully participate in a transparent process on
this important issue. This will not only aid in the development of the final EIS
but also in the drafting of a new proposed rule. The current proposed rule does
little to close the loopholes in the regulations the rule is designed to replace
and it creates more gaps than it fills. For example:
As currently proposed, the rule allows biotech companies to self-assess the
safety of their own experimental GE crops to determine whether USDA should even
regulate them. The proposed criteria are open-ended, subjective, and would
substantially reduce USDA's oversight of a wide range of GE crops. Most
egregiously, it is not genetic engineering that triggers regulation under the
rule, it is the determination that the technology "poses a potential plant pest
risk" and it is the developer that makes that initial decision. This is a clear
abdication of regulatory responsibility by USDA.
The proposed rule would also allow companies to grow some GE crops with no
oversight whatsoever. Under the proposed "tiered system," USDA could eliminate
entire categories of GE crops or varieties with which they have "familiarity,"
despite the USDA's acknowledgement that doing so would "increase gene flow
between GE and non-GE crops." This policy virtually ensures that contamination
episodes will become more frequent. To add insult to injury, USDA has proposed
to include a "Low Level Presence" policy in the law which excuses it from taking
any action to remove experimental GE crop material from conventional or organic
food, feed, and seed. Experience shows that such contamination often causes
severe economic harm to farmers, and could threaten the environment as well.
Further, USDA's proposal of "Conditional Exclusion" wrongly enables developers
to obtain exemptions from permit requirements without publication, notice, or
public comment. This unfairly limits transparency and blocks the public from
participation in important decisions that affect public health, the environment,
and the economy.
Despite repeated assurances that pharmaceutical and industrial GE crops would be
subjected to increased monitoring, reporting, oversight, and management, USDA
rejected scientifically-sound options that would have banned outdoor cultivation
of GE pharmaceutical- and chemical-producing food crops. This is the only way
to ensure that untested drugs and industrial chemicals don't end up in our food.
It also ignores the strong support such protective action enjoys from citizens
and the food industry. USDA has also refused to propose any controls on
pesticide-promoting GE crops, despite documented increases in pesticide use
caused by herbicide-tolerant crops and an epidemic of resistant weeds that have
been fostered by these crops.
Finally, the rule includes language that bars state or local regulation of GE
crops that are more protective than its own weak rule. I strongly oppose such
preemptive language that would bar local or state authorities from putting
meaningful regulations or restrictions on GE crops in place that best suit their
communities.
In sum, I urge you to: (1) Withdraw the proposed rule; (2) Release the EIS for
public review and comment, and to be used as a basis for further rule-making;
and (3) Suspend all new GE crop approvals until the above has been
satisfactorily completed and unless and until GE crops are proven safe.
Sincerely,
Laura Salyer
Comment from Laura Salyer
This is comment on Proposed Rule
Introduction of Organisms and Products Altered or Produced Through Genetic Engineering
View Comment
Related Comments
View AllPublic Submission Posted: 03/12/2009 ID: APHIS-2008-0023-0551
Jun 01,2009 11:59 PM ET
Public Submission Posted: 03/12/2009 ID: APHIS-2008-0023-0552
Jun 01,2009 11:59 PM ET
Public Submission Posted: 03/17/2009 ID: APHIS-2008-0023-0557
Jun 01,2009 11:59 PM ET
Public Submission Posted: 03/17/2009 ID: APHIS-2008-0023-0558
Jun 01,2009 11:59 PM ET
Public Submission Posted: 03/17/2009 ID: APHIS-2008-0023-0559
Jun 01,2009 11:59 PM ET