Washington, DC
September 24, 2004
[Federal Register: September 24,
2004 (Volume 69, Number 185)]
[Notices]
[Page 57257-57260]
From the Federal Register Online via GPO Access
[wais.access.gpo.gov]
[DOCID:fr24se04-33]
DEPARTMENT OF AGRICULTURE
Animal and Plant Health Inspection Service
[Docket No. 03-101-2]
Environmental Impact Statement; Petition for Deregulation of
Genetically Engineered Glyphosate-Tolerant Creeping Bentgrass
AGENCY: Animal and Plant Health Inspection Service, USDA.
ACTION: Notice of intent to prepare an environmental impact
statement and proposed scope of study.
SUMMARY: We are advising the public that the Animal and Plant
Health Inspection Service intends to prepare an environmental
impact statement relative to its consideration of a petition
received from Monsanto Company and The Scotts Company for a
determination of nonregulated status for a glyphosate-tolerant
creeping bentgrass (Agrostis stolonifera). This notice
identifies potentially significant issues, as well as
alternatives, that the Agency proposes to examine in the
environmental impact statement and requests public comment.
DATES: We will consider all
comments that we receive on or before October 25, 2004.
ADDRESSES: You may submit comments by any of the following
methods:
Postal Mail/Commercial Delivery: Please send four copies of
your comment (an original and three copies) to Docket No.
03-101-2, Regulatory Analysis and Development, PPD, APHIS,
Station 3C71, 4700 River Road Unit 118, Riverdale, MD
20737-1238. Please state that your comment refers to Docket No.
03-101-2.
E-mail: Address your comment to
regulations@aphis.usda.gov. Your comment must be contained
in the body
of your message; do not send attached files. Please include your
name and address in your message and ``Docket No. 03-101-2'' on
the subject line.
Agency Web site: Go to
http://www.aphis.usda.gov/ppd/rad/cominst.html for a form
you can use to submit an e-mail comment through
the APHIS Web site.
[[Page 57258]]
Reading Room: You may read any comments that we receive on
this docket in our reading room. The reading room is located in
room 1141 of the USDA South Building, 14th Street and
Independence Avenue SW., Washington, DC. Normal reading room
hours are 8 a.m. to 4:30 p.m., Monday through Friday, except
holidays. To be sure someone is there to help you, please call
(202) 690-2817 before coming.
Other Information: You may view APHIS documents published in
the Federal Register and related information, including the
names of groups and individuals who have commented on APHIS
dockets, on the Internet at
http://www.aphis.usda.gov/ppd/rad/webrepor.html.
FOR FURTHER INFORMATION CONTACT: Dr. Susan M. Koehler, BRS,
APHIS, 4700 River Road Unit 147, Riverdale, MD 20737-1238; (301)
734-4886.
SUPPLEMENTARY INFORMATION: The Animal and Plant Health
Inspection Service (APHIS) regulates the introduction (movement
into the United States or interstate, or release into the
environment) of genetically
engineered organisms that may present a plant pest risk under 7
CFR part 340, ``Introduction of Organisms and Products Altered
or Produced Through Genetic Engineering Which Are Plant Pests or
Which There Is Reason To Believe Are Plant Pests.'' The
regulations in Sec. 340.6(a) provide that any person may
submit a petition to APHIS seeking a determination that an
article should not be regulated under 7 CFR part 340.
On April 14, 2003, APHIS received a petition (APHIS Petition
No. 03-104-01p) from Monsanto Company (St. Louis, MO) and The
Scotts Company (Gervais, OR) (Monsanto/Scotts), requesting
deregulation of a creeping bentgrass (Agrostis stolonifera L.,
synonym A. palustris Huds.) that has been genetically engineered
for tolerance to the herbicide glyphosate. The Monsanto/Scotts
petition states that the subject creeping bentgrass, designated
as event ASR 368, should not be regulated by APHIS because it
does not present a plant pest risk.
In a notice published in the Federal Register on January 5,
2004 (69 FR 315-317, Docket No. 03-101-1), APHIS announced the
receipt of the Monsanto/Scotts petition and solicited comments
on whether the
subject creeping bentgrass would present a plant pest risk. (The
petition is available on the Internet at
http://www.aphis.usda.gov/brs/aphisdocs/03_10401p.pdf.) In
that notice, we described: (1) How the
subject creeping bentgrass was genetically engineered for
tolerance to the herbicide glyphosate, (2) why and how it has
been regulated by APHIS under 7 CFR part 340, (3) the regulatory
authority and actions taken or pending by the U.S. Environmental
Protection Agency that would allow certain glyphosate-containing
products to be used on the subject bentgrass during seed
production or on golf courses to control weeds, and (4) the
regulatory authority and actions taken by the U.S. Food and Drug
Administration that would allow feed use of straw and chaff
derived from the subject bentgrass. The notice provided a link
to APHIS' preliminary risk assessment (available on the Internet
at
http://www.aphis.usda.gov/brs/aphisdocs/03_10401p_ra.pdf),
and also requested information and public comments on issues
pertaining to the potential environmental effects of the subject
creeping bentgrass from the proposed deregulation, which would
allow for unconfined release into the environment of the United
States and its territories.
We solicited comments concerning our notice for 60 days
ending March 5, 2004. We received a total of 483 comments, from
respondents in the following categories: Unaffiliated
individuals (166); universities (118); industry (71); golf
course superintendents/operators (37); farmers (22);
associations (16); State, county, and city officials (11);
native plant societies (9); environmental and consumer groups
(8); research centers (8); U.S. Government officials (6); nature
preserve officials (3); State legislators (2); and a foreign
government official (1). The comments may be viewed on the
Internet at
https://web01.aphis.usda.gov/Bentgrass.nsf.
Approximately 339 commenters expressed support for the
Monsanto/Scotts petition, while 134 expressed concern or opposed
deregulation for glyphosate-tolerant creeping bentgrass. Among
the strongest supporters of the petition were university-based
weed scientists and turfgrass specialists, as well as golf
course superintendents and operators. Additional support was
expressed by industry-affiliated commenters, farmers,
associations, and research centers. Opposition to the commercial
development of glyphosate-tolerant creeping bentgrass was
expressed by commenters associated with native plant societies
and the restoration and management of native plant preserves,
environmental and consumer groups, and certain Federal, State,
and city officials. The unaffiliated individual commenters were
nearly evenly split between those supporting and those opposing
the petition.
Among the points frequently stressed by supporters of the
petition were the usefulness of glyphosate-tolerant creeping
bentgrass for selective control of annual bluegrass (Poa annua)
in golf courses and the associated reduction in the need for
pesticide applications (herbicides, fungicides, and fumigants)
to eliminate or manage this and other weed species; the
noninvasiveness of bentgrass in cropping systems; the existence
of alternative herbicides for control in situations where
control is needed; and the noncompetitiveness of interspecific
hybrids.
Some commenters opposing the subject petition described the
aggressiveness of Agrostis, characterizing Agrostis stolonifera
as a major invader of prairie/meadow habitat and riparian areas
and a displacer of indigenous flora. A number of these same
commenters also expressed concern about the spread of the
glyphosate-tolerant transgene and the potential loss of
glyphosate for the control of invasive perennial grasses. One
commenter described glyphosate as the herbicide of choice for
feral creeping bentgrass, and another noted that glyphosate is
the means of control for the A. stolonifera occupying tens of
thousands of acres of north coastal California grassland, and
where it is a weed in wetlands. In nearly identical letters,
some respondents opposed to the petition mistakenly identified
creeping bentgrass as redtop, which is a different species
(Agrostis gigantea) that is characterized as more weedy than
creeping bentgrass and can hybridize with it.
In addition to seeking public comments through our January
2004 notice, APHIS asked the Weed Science Society of America
(WSSA) to undertake an analysis of the weed management
implications associated
with the potential deregulation and commercialization of
glyphosate-tolerant and of glufosinate-tolerant creeping
bentgrass varieties. Their report, ``Determination of the
Potential Impact from the Release of Glyphosate- and
Glufosinate-Resistant Agrostis stolonifera L. in Various Crop
and Non-Crop Ecosystems,'' is available on the WSSA Web site at
http://www.wssa.net/society/bentgrass.pdf. Glufosinate
herbicide-tolerant creeping bentgrass was included because APHIS
expects it may receive a petition for deregulation of such a
product that is currently under development.
Under the provisions of the National Environmental Policy Act
of 1969 (NEPA), as amended (42 U.S.C. 4321 et
[[Page 57259]]
seq.), agencies must examine the potential environmental effects
of, as well as alternatives to, proposed major Federal actions.
Based on our information and the examination of data associated
with the petition, the WSSA report, and public comments
submitted in response to our January 2004 notice, we have
decided to inform our decisionmaking process in this matter
through preparation of an environmental impact statement (EIS),
consistent with regulations of the Council on Environmental
Quality (CEQ) for implementing the procedural provisions of NEPA
(40 CFR parts 1500-1508), the U.S. Department of Agriculture's
regulations implementing NEPA (7 CFR part 1b), and APHIS' NEPA
Implementing Procedures (7 CFR part 372). An EIS is a detailed
written
statement of the agency (signed by the responsible official) on
Federal actions with the potential to significantly affect the
quality of the human environment as required by section
102(2)(c) of NEPA on ``(i) the environmental impact of the
proposed action, (ii) any adverse environmental effects which
cannot be avoided should the proposal be implemented, (iii)
alternatives to the proposed action, (iv) the relationship
between local short-term uses of man's environment and the
maintenance and enhancement of long-term productivity, and (v)
any irreversible and irretrievable commitments of resources
which would be involved in the proposed action should it be
implemented.'' This notice identifies the alternatives and
potentially significant issues that we propose to study in the
EIS. We are inviting public comment on this proposed scope of
study to help us further delineate the issues.
We have identified three broad alternatives for study in the
EIS:
Approval of the petition. APHIS would deregulate the
genetically engineered glyphosate-tolerant creeping bentgrass
(Agrostis stolonifera L.).
Denial of the petition. APHIS would continue to regulate the
genetically engineered glyphosate-tolerant creeping bentgrass.
Approval of the petition in part. APHIS would partially
deregulate introduction (importation, interstate movement, or
release into the environment) of the genetically engineered
glyphosate-tolerant creeping bentgrass. Such a partial
deregulation might be achieved through the placement of
restrictions or conditions designed to mitigate any anticipated
plant pest effects or adverse environmental effects.
``Significantly,'' as used in NEPA, requires consideration of
both the context (i.e., the scope and duration) and intensity
(i.e., the severity of impact) of the proposed action as
described by CEQ's regulations in 40 CFR 1508.27. APHIS
regulations at 7 CFR 340.6 require an examination of the plant
pest risk potential of the regulated article with respect to its
non-genetically engineered counterpart. Familiarity with the
impacts associated with the use of the non-genetically
engineered counterpart or with the use of plants with traits
similar to the trait introduced through genetic engineering has
been used in examining the significance of potential
environmental
impacts resulting from previous decisions to deregulate. It is
within the context of these CEQ and APHIS regulations that the
following potentially significant environmental issues have been
identified for further examination in the EIS process:
Herbicide resistance, weed management, and vegetation
control.
Compared to non-genetically engineered creeping bentgrass and
other herbicide-tolerant grasses, will deregulation of the
subject glyphosate-tolerant creeping bentgrass result in its
establishment and persistence in situations where it is
unwanted, unintended, or unexpected?
To what extent will deregulation of glyphosate-tolerant
creeping bentgrass result in its hybridization and introgression
of the herbicide-tolerance trait into related species, and will
this result in their establishment and persistence in situations
where they are unwanted, unintended, or unexpected?
Will attempts to manage glyphosate-tolerant creeping
bentgrass or its relatives in situations where they are
unwanted, unintended, or unexpected have significant adverse
impacts on the quality of the human environment, including the
ability to restore the land and vegetation to their intended
use?
Will adoption of glyphosate-tolerant creeping bentgrass,
coupled with the use of glyphosate products that might be
registered for use on this bentgrass, result in the selection of
weeds that are tolerant of doses of glyphosate that were
previously lethal, or result in a shift to weeds that are more
difficult to control? If so, what are the likely weed species,
over what timeframe would selection occur, and how likely would
the weeds spread to and persist in other locations? What
alternatives are available to control them in situations where
they are unwanted, and will those alternative control methods
have significant adverse impacts on the environment?
Will adoption of glyphosate-tolerant creeping bentgrass on
golf courses, coupled with the expected use of glyphosate
products that might be registered to control weeds in this
bentgrass, have significant benefits to the environment compared
to the growth and weed management of non-glyphosate-tolerant
creeping bentgrasses on golf courses?
Hybridization and introgression. In addition to the potential
impacts identified above with respect to weediness and herbicide
tolerance or resistance, what other significant impacts could
occur to the quality of the human environment as a result of the
crossing and subsequent introgression of the
glyphosate-tolerance trait from glyphosate-tolerant creeping
bentgrass with non-glyphosate-tolerant creeping bentgrass and
certain compatible species?
Threatened and endangered species. Could there be adverse
affects on a listed threatened or endangered species or its
habitat, as designated under the Endangered Species Act of 1973,
as amended, through the spread of glyphosate-tolerant creeping
bentgrass or its relatives to areas where they are unwanted,
unintended, or unexpected, e.g., riparian areas, wetlands, or
grasslands, or through management of vegetation in those
situations?
Precedence. Will deregulation of this genetically engineered
species establish a precedent for future actions with
potentially significant effects or represent a decision in
principle about a future consideration? Examples might include
deregulation of other genetically engineered grasses, or other
perennial species, particularly those that are highly
outcrossing, widespread species that may also reproduce
vegetatively, and which can hybridize with many wild (native or
naturalized) relatives.
Cumulative effects. Can this action be said to be related to
other past, present, and reasonably foreseeable future actions
with individually insignificant but cumulatively potentially
significant impacts, including actions that may be taken by
other agencies and individuals?
Impacts on unique geographic areas or significant scientific,
cultural, or historical resources. To what extent would
deregulation impact unique geographic areas, such as prime
farmlands, wetlands, parklands, or ecologically critical areas,
or scientific, cultural, or historical resources, e.g., species
targeted for conservation?
Uncertainty. Are there associated with this action possible
effects on the quality of the human environment that are highly
uncertain or involve unique or unknown risks, including those
listed above?
[[Page 57260]]
Mitigation. Can negative environmental impacts of the action
be reasonably mitigated, and what is the likelihood that
mitigation measures will be successfully implemented? CEQ
regulations (40 CFR 1508.20) indicate that mitigation to be
considered in the scope of a NEPA document can include actions
or decisions that avoid,
minimize, reduce, rectify, or compensate for the adverse impacts
identified. The EIS will consider the stewardship plan outlined
in section VII. E. of the petition, which is designed to
minimize inadvertent gene flow as well as to monitor and
mitigate the potential development of glyphosate-resistant
weeds. The EIS will also consider other actions, e.g.,
deployment (release) strategies or management practices,
including those that may be outside APHIS' jurisdiction, that
might mitigate any adverse impacts identified, so as to alert
those who may be in a position to implement them.
Comments that provide information relevant to the scope
identified above or that identify other potentially significant
environmental issues or alternatives that should be examined in
the context of the EIS process would be especially helpful. All
comments that we received in response to the January 2004 notice
will be included as part of this scoping process; there is no
need to resubmit those comments. We will fully consider all the
comments received in response to the January 2004 notice and
this current notice in developing a final scope of
study and in preparing the draft EIS. When the draft EIS is
completed, we will publish a notice in the Federal Register
announcing its availability and inviting the public to comment
on it. Following our consideration of the comments received,
APHIS will prepare a final EIS; its availability will also be
announced in the Federal Register along with a 30-day public
comment period, after which the Record of Decision will be
issued.
Done in Washington, DC, this 21st day of September 2004.
W. Ron DeHaven,
Administrator, Animal and Plant Health Inspection Service.
[FR Doc. E4-2372 Filed 9-23-04; 8:45 am]
BILLING CODE 3410-34-P
Source:
http://a257.g.akamaitech.net/7/257/2422/06jun20041800/edocket.access.gpo.gov/2004/E4-2372.htm
|