November 23, 2004
Canadian Food Inspection
Agency
Plant Products Directorate
Plant Biosafety Office
Workshop Proceedings
Canola Confined
Research Field Trials: Revisiting Terms and Conditions
(September 10, 2003)
Executive Summary
The Plant Biosafety Office (PBO),
Canadian Food Inspection Agency (CFIA),
held a half day workshop to review the current terms and
conditions for confined research field trials of canola (Brassica
napus) outlined in its Directive 2000-07 (Dir2000-07),
Conducting Confined Research Field Trials of Plants with Novel
Traits in Canada. Invited to attend were representatives
from federal government bodies, producer and trade associations
as well as academia.
This report is meant to be an
accurate reflection of the workshop proceedings. Please be aware
that the views and personal opinions of participants expressed
during the workshop have been included for accuracy but do not
necessarily reflect the views of the
CFIA.
In addition, the objective of the plenary session was not to
seek consensus among participants, but rather to provide a forum
for participants to share their expertise, views, comments and
recommendations.
The format of the workshop was
a group discussion, which centered around focus questions
developed by the PBO
prior to the workshop. These questions were designed to give the
PBO a better
understanding of participants'views as well as concerns
regarding the current terms and conditions for confined research
field trials of canola. Specifically, the
PBO wished to
discuss reproductive isolation techniques, canola seed dormancy,
sexual compatibility between Brassica
juncea, Brassica napus, Brassica rapa and their wild
relatives, as well as canola seed viability at various crop
growth stages. In addition, the
PBO wished to
identify potential new concerns regarding the management of
canola volunteers in post-harvest years as well as new
management tools for their control.
Participants felt that
increasing prescribed isolation distances on low risk confined
research field trials would prove too costly and provide minimal
gain in risk mitigation. For those confined research field
trials considered high risk, such as those intended for plant
molecular farming, participants agreed these trials may require
more strict reproductive isolation measures, such as greater
isolation distances or use of integrated reproductive isolation
plans.
An increase in guard row width
was also assessed to have minimal potential benefits as the
difference in outcrossing frequency between
B. napus in the trials and B.
napus in the guard row is minimal past the 10m
point. Participants felt more guidance with regards to the use
of guard rows as a reproductive isolation technique should be
provided in Dir2000-07. Please
note that more detailed information on guard rows has been
included in the revised version of Dir2000-07
(updated October 17, 2003).
The requirement for soil
incorporation of all residual plant material is cause for
concern among some workshop participants as they feel soil
incorporation increases the risk of secondary seed dormancy of
trial material. In an effort to reduce this risk, it was
recommended that, where possible, propagable plant material be
harvested from trial site. Following harvest, residual plant
material on trial site should be lightly disked into the soil to
prevent dispersal by wind and fauna as well as to discourage
seed dormancy.
Available scientific
information and practical field experience support the adequacy
of the current terms and conditions for confined research field
trials of canola set out in Dir2000-07.
Participants agree that further research is needed on the
biology of canola, more specifically, on seed dormancy, pollen
flow and outcrossing potential. As outlined in the group
discussion summary for question two (Q2),
Sinapis arvensis (wild mustard) will be removed from
the list of weedy species prohibited to grow within the
isolation distance prescribed for such species in the terms and
conditions for confined research field trials of canola. The
PBO will
carefully consider all new information and recommendations made
by participants when it will review the terms and conditions for
confined research field trials of canola.
Q1. Is there key information
regarding canola biology relevant to confined research field
trials that has been published recently or is soon to be
published?
Robert H. Gulden from the
University of Saskatchewan has just completed his
Ph.D thesis on the
"Secondary seed dormancy and the seedbank ecology of
Brassica napus L. in Western
Canada". His research showed "i) that
on some farms, seedbank additions may be lowered by more
diligent harvest practices, ii)
seedbank persistence of B. napus
may be reduced by growing low dormancy genotypes and avoiding
seed burial for one year after seedbank establishment and
iii)
ABA abscisic acid + ABA-glucose
ester (ABA-GE)
and the ability of seeds to respond to
ABA applications after
seed dormancy induction may potentially be used to identify seed
dormancy potential in this species." see Gulden (2003)
The current terms and
conditions for B. napus
recommend that "Seed or other propagable plant material from the
confined research field trial must be harvested unless otherwise
approved by the PBO.
Plants must be harvested before full maturity to minimize
silique shattering and seed dispersal. This is intended to
decrease the seedbank in the soil and minimize the problems
outlined above.
Beckie
et al. (2001, 2003), Hall
et al.
(2002), and Warwick et al.
(2004) published papers reviewing the "Impact of
herbicide-resistant crops as weeds in Canada" . These papers
reported that pollen flow for B. napus
can extend up to 800 m. Beckie
et al. 2003
report a table summarizing the results of all canola pollen flow
studies. In a report on outcrossing studies entitled,
"Genetically Modified Canola in Australia" , Phil Salisbury
reported that outcrossing levels from small plot trials to a
field are substantially lower than outcrossing levels from one
large field to another. A small plot produces less pollen and,
consequently, a less dense pollen cloud compared with the more
dense pollen clouds produced by large fields.
The role of the
PBO is to
mitigate risk, where risk = hazard x exposure. A compromise
between what is an acceptable level of pollen flow versus the
economic viability of utilizing extreme isolation distances
needs to be established. In order to maintain what has been
established as an acceptable level of risk with respect to field
trials in the environment, the environment's exposure to the
novel trait must decrease as the potential and real hazards of
that novel trait increase.
The
PBO currently
uses a 200 m isolation distance for
B. napus, which is based on the
Canadian Seed Growers' Association (CSGA)
pedigreed seed guidelines. Workshop participants indicated that
the difference in outcrossing frequencies at isolation distances
of 200 m, 400 m
and 800 m is minimal (Beckie
et al. 2001,
2003). The PBO
acknowledges the occurrence of a small outcrossing frequency at
distances greater than 200 m,
however, the environment's exposure to a novel trait from a
small plot is minimal, therefore the outcrossing frequency at a
distance of 200 m and greater from
the trial is negligible. Where toxic products are involved,
isolation distances may be increased in order to further
mitigate the risk.
Christian
Damgaard and Gösta Kjellsson from
the Department of Territorial Ecology of Denmark's National
Envrionmental Research Institute (Danmarks
Miljøundersøgelser (DMU)),
created a mega model from all published outcrossing data. In
their study, it was observed that for crop species with a
prescribed isolation distance of 100 m
in their terms and conditions of confinement, every 5
m border strip (i.e.,
guard rows) adjacent to a pollen source exhibits the same level
of pollen flow control as a 50 m
isolation distance. For larger isolation distance requirements,
every 100 m border strip adjacent to
a pollen source would be equivalent to a 200
m isolation distance. The paper
concluded that borders are indeed effective and may, in
addition, be capable of limiting pollen movement (i.e.,
guard rows have demonstrated a certain level of control of bee
pollination). Please note: This results of this
study have not yet been published but are in the process of
being peer reviewed for publication.
Q2. Is there new information
about sexual compatibility between B. juncea,
B. napus and
B. rapa and their wild relatives
that should impact on the terms and conditions for confined
research field trials?
Ginette
Séguin-Swartz, Hugh Beckie and Suzanne Warwick are
currently conducting research in Saskatchewan on pollen flow
between populations of B. napus,
commercial B. juncea, commercial
B. rapa and volunteer
B. rapa. Studies from
B. napus to B.
juncea are still in progress, but preliminary data
indicates that the highest outcrossing frequency occurs within
the first 50 m of the pollen source.
Gene flow from commercial B. napus
fields to commercial B. rapa and
to B. rapa volunteers in Western
Canada was detected at low levels (0.01%) up to distances of 240
m (Warwick
et al. Poster 2003b). In a
recently published paper, Warwick
et al. (2003) also reported
the occurrence of herbicide tolerant B.
napus x weedy B. rapa
(bird's-rape) hybrids in Quebec in 2001. These F1 hybrid
plants showed decreased fertility (ca. 60% fertility). Selfing,
a B. napus trait, was also
detected among the resulting F1 hybrids. Since 2002, Warwick
et al. have
been studying the persistence and introgression of the herbicide
tolerance trait in two wild B. rapa
hybrid swarm populations (Warwick
et al. 2004, studies in
progress). A paper, entitled "Hybridization between transgenic
Brassica napus L. and its wild
relatives: Brassica rapa L.,
Raphanus raphanistrum L.,
Sinapis arvensis L., and
Erucastrum gallicum (Willd.)" , has
also been written by Warwick
et al. 2003. This paper
indicates that no interspecific hybrids were detected in
commercial fields of herbicide tolerant B.
napus and Sinapis arvensis
(wild mustard), Raphanus
raphanistrum (wild radish) and
Erucastrum gallicum (dog mustard).
A number of workshop
participants questioned the inclusion of
Sinapis arvensis (wild mustard) in the list of
related weedy species which must not be present within 50
m of a B. napus
field trial. Although no scientific data supports the occurrence
of outcrossing between B. napus
to S. arvensis in field
experiments (reviewed in Warwick
et al 2003b),
S. arvensis had been included in the
terms and conditions for B. napus
trials to facilitate inspections. S.
arvensis may be difficult to distinguish from other
Brassica species, potentially
rendering the inspection of a trial very difficult and tedious.
For B. napus trials, plants
within the trial site must be reproductively isolated from all
Brassica species by a minimum
200 m, and isolated from weedy
relatives by a minimum of 50 m,
unless other methods of reproductive isolation has been
successfully used. It was noted that if identification between
S. arvensis and some
Brassica species is problematic, it
may be more logical to control S. arvensis
within the 200 m reproductive
isolation distance, rather than within the 50
m isolation distance, of a
B. napus trial. The
PBO has agreed
to remove S. arvensis from the
terms and conditions for B. napus
trials based on 1) further discussion with inspection staff
regarding the difficulty in distinguishing
S. arvensis from other Brassica
species, and 2) the data presented in the paper by
Warwick et. al.
(2003). The isolation distance of 50 m
of S. arvensis plants from a
B. juncea trial was also questioned.
Based on research currently being conducted by
Dr. Suzanne Warwick, it was
suggested that a 200 m isolation
distance may be more suitable as B. juncea
and S. arvensis are sexually compatible.
Q3. Of the approved methods
for maintaining reproductive isolation in field trials, which
are currently preferred and why? Is there need for changes to
the approved methods? Is it possible to improve the
effectiveness of guard rows? Does the use of guard rows require
further study?
Most applicants for confined
research field trials appear to be using isolation distances or
guard rows (or, in some cases, both) to achieve reproductive
isolation. Many factors must be taken into consideration when
guard rows are used as a means for reproductive isolation. The
guard rows must contain early, mid and late flowering varieties
in order to have concurrent flowering with the trial plot. In
the event of guard row failure, applicants must be prepared to
default to the required reproductive isolation distance, or,
alternatively, remove/destroy their trial plots. It was also
suggested that the use of two seeding dates may enable guard
rows to flower throughout the entire flowering phase of the
trial plot.
There was some question as to
whether a 10 m guard row for
B. napus was sufficient. Studies
reported in Beckie et al.
(2001, 2003) indicate effective pollen flow,
i.e hybridization rates of
0.19% at 50 m compared with 1.25% at
a common border between commercial B. napus
fields. From personal experience, other workshop
participants believed that 15-20 m
guard rows should be required for B. napus
trials. A paper by Cuthbert and McVetty (2001) reported that the
outcrossing frequency beyond the10 m
point is approximately the same (
i.e., the outcrossing frequency at 15
m from trial plot is approximately
the same as the frequency observed at 30 m).
It was pointed out that guard rows show merit from the
perspective of limiting bee pollination, but are not necessarily
useful in the prevention of wind pollination. However, wind
pollination does not play a major role in the outcrossing of
B. napus as this species'pollen is
very heavy (CFIA,
2001).
Applicants have requested more
guidance on a number of issues surrounding guard rows:
i)
|
What constitutes a gap?
A gap through the guard
rows becomes a compliance problem when its size exceeds
50 cm. The presence of
a large hole which decreases the depth of guard rows to
less than 10 m deep, may
also be considered as a gap. |
ii)
|
How do you get the
required machinery into the trial?
In order to accommodate
the use of machinery within a trial, the
CFIA
permits gaps of up to 50 cm
through the guard rows (to allow for tire width, but the
machinery should not disturb the plant growth between
the tires). The applicant may also propose a maze
entrance to the trial. |
iii) |
What is the acceptable
distance between the guard row and the trial?
The acceptable distance
between guard rows and the trial has been set at a
distance no less than 3 m
and no greater than10 m.
|
iv)
|
What constitutes
significant flowering (technical standard)?
The density of flowering
plants in the guard row must be similar to, or greater
than, the density of flowering plants within the trial
plot. |
These issues have been
addressed in the updated Directive 2000-07, "Conducting
Confined Research Field Trials of Plants with Novel Traits in
Canada".
Studies are currently being
conducted on soybean fields to provide more information to those
using pedigree seed systems on the effectiveness of guard rows
as a reproductive isolation tool. These trials have indicated
that guard rows are more effective in controlling gene flow than
isolation distances. More specifically, guard rows of the same
species have demonstrated to be more effective than guard rows
of different plant species. As soybean is generally considered
to be a mostly self-pollinating crop and where
Brassica species are considered to
be mostly cross-pollinating crops, the
PBO will
require studies to be conducted on the various
Brassica species in order to make
informed decisions with regards to the efficacy of guard rows
for these crops.
The merits of tenting and
bagging as methods of reproductive isolation techniques were
also discussed. Tents appear to be effective for controlling bee
and fly pollination but not for controlling pollination by
smaller insects. Tents also limit the occurrence of wind
pollination as the probability of pollen being blown out of the
tent and subsequently cross pollinating another plant is very
low. However, standards need to be set regarding the acceptable
mesh size for tents. Bags seem to be more difficult to use
accurately and are more fragile, making them less effective than
other means of reproductive isolation. The revised version of
Directive 2000-07 requires that applicants provide scientific
rationale to justify the effectiveness of isolation measures
such as tenting or bagging.
Industry/applicants may be more
comfortable with two standards for reproductive isolation,
depending on whether the trait is a high risk or low risk (i.e.,
molecular farming etc.). For
example, field trials containing high risk traits, such as some
molecular farming products, would have more stringent standards
for reproductive isolation than common low risk traits.
Currently the PBO
imposes higher levels of reproductive isolation for high risk
trials on a case by case basis, but has not set a standard for
high risk traits.
Q4. Are there new concerns
regarding canola volunteers in post-harvest years of confined
research field trials, or are there new management options for
control of volunteers in post-harvest years to bring trial sites
back into compliance?
In recent studies by Beckie
et al. (2004), greenhouse
experiments were conducted to investigate the dose response of
three single herbicide tolerant (HT)
cultivars (glyphosate, glufosinate, imidazolinone), one non-HT
cultivar, and seven multiple
HT experimental lines (double or triple) treated at
various growth stages with 2,4-D amine, 2,4-D ester,
MCPA
ester, and metribuzin. These studies suggest that volunteer
canola with multiple herbicide tolerance traits does not differ
from cultivars that are non-HT
or single HT in
its sensitivity to herbicides commonly used to control
volunteers. All volunteers, whether non-HT,
single HT, or
multiple HT should
be treated when plants are most sensitive to herbicides (two- to
four-leaf stage) to reduce their interference against crops and
their perpetuation of gene flow.
Q5. Is there any new
information about canola seed dormancy that might impact on the
terms and conditions of confined research field trials?
Gulden (2003) reports a high
level of secondary seed dormancy for B.
napus in the field. Therefore, for the purposes of
confined research field trials, it would be beneficial if
breeders selected for the low secondary seed dormancy phenotype
as part of their breeding strategy in order to help control
B. napus volunteers.
In the current terms and
conditions for confined research field trials of
B. napus, the
PBO requires
that residual plant material be soil incorporated after harvest
in order to prevent dispersal of plant material by wind or
fauna. Soil incorporation has been observed to increase
secondary seed dormancy and, subsequently, to increase the
number of volunteers the following spring. One mitigation option
adopted by the PBO
is requiring confined research field trial material to be
harvested prior to full maturity in order to reduce seed
shatter. However, harvesting before maturity is not always an
appropriate course of action for a developer collecting the
required information for an unconfined release submission. In
addition, harvesting green material may obstruct combines,
resulting in even more dispersal of plant material on the soil
surface. As such, alternative mitigation options for secondary
seed dormancy need to be developed. Workshop participants felt
that guidelines should be interpreted as "seed is required to be
harvested from trial site with as little seed shatter as
possible (e.g., prior to the
seeds drying out or seed shattering). After harvest, residual
plant material on trial site should be lightly disked into the
soil to prevent dispersal by wind and fauna as well as to
discourage seed dormancy.
An increasing amount of
research has been indicating that seed dormancy rates for
B. napus may be up to five years,
recent papers by Légère
et al. (2001) and Simard
et al.
(2002) have reported that volunteers can persist up to 4
yrs and 5 yrs
in western and eastern Canada, respectively. However, the
workshop participants have observed that very few
B. napus volunteers emerge during
and after the third year of the post-harvest restriction period.
It was also postulated that a
five year post-harvest land use restriction for
B. juncea trials may be too long.
Field researchers have noted that B. juncea
volunteers do not seem to occur. The
PBO is waiting
for published data before considering amending its terms and
conditions for B. juncea
confined field trials .
Q6. Is a policy needed to
address seed viability at different growth stages (i.e.,
at what growth stages can viable seeds be recovered from a
tilled plant?)?
Currently, if related species
are found within the isolation distance of a current year trial
or, if volunteers with developed pods are found on a site still
subject to post-harvest restriction requirements, the trial site
will be placed under additional post-harvest requirements. For
example, the isolation distance may be included in the
post-harvest monitoring area or additional years may be added to
the original post-harvest restriction period.
It has been recommended that
germination tests on the different stages of seed development
should be conducted to determine at what stage seed becomes
viable. The resulting generated data could potentially be used
to develop a growth stage scale for both field managers and
CFIA
inspection staff to use in the determination of presence of
viable seed. Generally, a seed is considered to be viable if its
seed coat has developed. However, the in-field determination of
the seed coat's presence is very difficult as a magnifying glass
is required to identify the seed coat.
Until other identification
methods are available, the best practice remains to assume that
all seed, whether mature or immature, is viable and must be
treated accordingly (i.e.,
trial site under post-harvest restriction will be subject to
additional post-harvest requirements).
Q7. What other issues
regarding canola confined research field trials need to be
discussed?
Over the years the
PBO has dealt
with fewer and fewer compliance problems and has seen a better
understanding of the regulatory system by its confined research
field trial applicants. Compliance problems are inevitable as
confined research field trials deal with the biology of plants,
an area where the unexpected can always occur, even under the
strictest terms and conditions. The best option available
remains risk mitigation to the best of our ability.
CropLife Canada has developed
an interactive training program for conducting confined research
field trials and hopes to implement a certification program.
This program would require the successful completion of an exam
for certification. This program could also be potentially
included with other licensing and registration programs from
Health Canada's Pest Management Regulatory Agency (PMRA),
the Canadian Seed Institute (CSI)
, as well as other programs for licensed operators, accredited
graders, etc. However, it is
still unclear whether CropLife Canada's certification program
will be recognized by the
PBO.
Workshop participants felt
that, should this confined research field trial training program
become recognized by the
PBO, it should be taken not only by the individual who
is legally responsible for the field trial(s) [the applicant
and/or Canadian Agent] but also by any individual who will be
working on the trial plot(s).
Some industry representatives
expressed a desire for the
PBO's confined
research field trial program to include a written notification
by the PBO to
the applicant at the conclusion of the post-harvest monitoring
period of a trial, indicating that all requirements for the
confined field trial site are now complete.
Workshop participants agreed
that it is more beneficial to hold small expert meetings, such
as this workshop, in order to address changes to the terms and
conditions of confined research field trials as oppose to large
multi-stakeholder meetings. The
PBO is looking
into conducting similar expert workshops for the terms and
conditions of confined field trials of wheat, alfalfa and other
perennials in general.
List of Participants
Arbuckle,
Heather - (CFIA,
PBO)
Berg, Gord - (CFIA,
Operations)
Brûlé-Babel, Anita - (University of Manitoba)
Buth, JoAnne - (Canola
Council of Canada)
Dewar, Denise -
(CropLife Canada)
Downey, Keith - (AAFC)
Finstad, Kirsten - (CFIA,
PBO)
Girard, Cécile - (CFIA,
PBO)
Kaminski, David -
(Manitoba Agriculture and Food) |
Macdonald,
Philip - (CFIA,
PBO)
MacDonald, Rob - (Bayer
CropScience)
Marshall, Peter -
(Monsanto Canada)
Morris, Shane - (CFIA,
Operations)
Perron, France - (CFIA,
PBO)
Preater, Randy - (CSGA)
Thomas, Krista - (CFIA,
PBO)
Urbanic, Kevin - (CFIA,
Operations)
Warwick, Suzanne - (AAFC) |
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Document in PDF format:
http://www.inspection.gc.ca/english/plaveg/bio/consult/canolae.pdf
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