Importation of Potatoes From Mexico
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Final rule.
CFR Part: "7 CFR Part 319"
RIN Number: "RIN 0579-AD78"
Citation: "79 FR 16651"
Document Number: "Docket No. APHIS-2013-0037"
"Rules and Regulations"
SUMMARY: We are amending the regulations concerning the importation of fruits and vegetables to allow the importation of fresh potatoes (Solanum tuberosum L.) from
EFFECTIVE DATE: Effective Date:
FOR FURTHER INFORMATION CONTACT: Mr.
SUPPLEMENTARY INFORMATION: The regulations in "Subpart-Fruits and Vegetables" (7 CFR 319.56-1 through 319.56-64, referred to below as the regulations) prohibit or restrict the importation of fruits and vegetables into
The national plant protection organization (NPPO) of
In response to that request, we prepared a pest risk assessment (PRA) and a risk management document (RMD). Based on the conclusions of the PRA and the RMD, on
FOOTNOTE 1 To view the proposed rule, its supporting documents, or the comments that we received, go to http://www.regulations.gov/#!docketDetail;D=APHIS-2013-0037. END FOOTNOTE
We solicited comments concerning our proposal for 60 days ending
General Comments on the Proposed Rule
One commenter stated that APHIS should prohibit all fruits and vegetables from other countries from being imported into
Such prohibitions would be beyond the scope of APHIS' statutory authority under the Plant Protection Act (7 U.S.C. 7701 et seq., referred to below as the PPA). Under the PPA, APHIS may prohibit the importation of a fruit or vegetable into
Additionally, as a signatory to the
A commenter stated that the NPPO of
Like the United States,
A commenter expressed concern that the importation of potatoes from
For the reasons explained in the proposed rule, the RMD, and this final rule, we consider the provisions of this final rule to adequately mitigate the risk associated with the importation of potatoes from
A commenter expressed concern that APHIS would not be able to enforce the provisions of the proposed rule.
We are confident that we have sufficient personnel and resources to do so.
Comments Regarding the Pest Risk Assessment
As we mentioned above, we prepared a PRA in response to the NPPO of
* Copitarsia decolora (Guenee), a moth.
* Epicaerus cognatus Sharp, potato weevil.
* Nacobbus aberrans (
* Ralstonia solanacearum race 3 biovar 2 (
* Rosellinia bunodes (Berk. & Broome) Sacc., a pathogenic fungus.
* R. pepo Pat., a pathogenic fungus.
* Synchytrium endobioticum (Schilb.) Percival, a pathogenic fungus that causes potato wart disease.
* Thecaphora solani (Thirum. &
The PRA determined that three of these eight pests-- N. aberrans, R. solanacearum race 3 biovar 2, and S. endobioticum --pose a high risk of following the pathway of fresh potatoes from
A commenter stated that, because of the great number of pests of potatoes known to exist in
The PRA that accompanied the proposed rule provided a list of all pests of potatoes known to exist in
If, however, a new pest of potatoes is detected in
A commenter stated that, in assigning a medium or high risk potential to the eight pests present in
In assigning a medium or high risk potential to the pests, the PRA did not make such claims. Indeed, as we discuss later in this document, the PRA took into consideration that certain commodities already authorized importation into
The same commenter stated that, since we already authorize the importation of Mexican commodities that are hosts of the quarantine pests identified by the PRA, and importation of these commodities has yet to result in the introduction of the pests into
It appears the commenter assumed that, if the pest list for one commodity from a foreign region is similar to the pest list for another commodity from that region, the risk associated with the importation of those commodities must likewise be similar. This is not the case. The former commodity may be the preferred host of the pests, while the latter is an alternate host; or the former commodity may be more likely to be imported into regions of
Accordingly, while we did take the absence of pest detections on commodities that are currently imported into
The same commenter suggested that, in assigning risk ratings to the eight quarantine pests, we did not take into consideration that all of the pests other than C. decolora were unlikely to survive if they accompanied a shipment of potatoes from
As we discussed in the PRA, we took those facts into consideration in assigning the ratings.
The commenter also asserted that N. aberrans and R. solanacearum race 3 already are widely prevalent within
The biotype of N. aberrans that is known to exist in the western
Additionally, while we agree that R. solanacearum race 3 does exist in
Comments Regarding Importation in Commercial Consignments
We proposed that potatoes from
One commenter stated that this provision effectively precludes small-scale Mexican potato producers from exporting potatoes to
We do not agree with the commenter that the provision effectively precludes small-scale Mexican potato producers from exporting potatoes to
With respect to the commenter's concern regarding the use of unregulated pesticides, herbicides, or fertilizers, we note that the
Comments Regarding Producer Certification Program
We proposed that potatoes from
One commenter stated that, by requiring producers to use only seed that has been certified by the NPPO of
The commenter provided no evidence suggesting that crossbreeding potatoes has such a prophylactic effect. In contrast, the evidence APHIS examined in preparing the RMD and the proposed rule suggested that R. solanacearum race 3 biovar 2, R. bunodes, R. pepo, S. endobioticum, and T. solani can all be borne by seed, and that this requirement is necessary in order to prevent the use of infected seed to produce potatoes destined for export to
Another commenter stated that civil or political unrest in
Such surveying and testing is a necessary component of the systems approach for potatoes that are not grown in an enclosed environment. If this surveying and testing does not occur, for whatever reason, potatoes from that field are not eligible for export to
Comment Regarding Registered Packinghouses
We proposed that potatoes from
A commenter asked whether a registered packinghouse could receive and pack potatoes from multiple producers at once, and to what degree APHIS would allow the packinghouse to commingle potatoes in such a manner.
A packinghouse may receive and pack potatoes from multiple registered producers at once, nor does this rule place any restrictions on the degree to which the packinghouse may engage in such a practice.
However, each consignment of potatoes from
Comment Regarding Post-Harvest Processing
We proposed that, after harvest but prior to packing, the potatoes would have to be washed, cleaned of soil and debris, and treated with a sprout inhibitor. In the preamble of the proposed rule, we said that treatment with a sprout inhibitor was necessary because, once a potato has begun to sprout, it is propagative material that then can easily be used as a plant for planting.
Two commenters asserted that the proposed rule suggested that any evidence of sprouting whatsoever makes a potato propagative material that can easily be used as a plant for planting. While agreeing that a sprouting potato is potentially a plant for planting, and, therefore, that treatment with a sprout inhibitor is a necessary mitigation, they also stated that such diversion is significantly more difficult than the proposed rule suggested it was.
We agree that such diversion is not easy, and acknowledge that the proposed rule should not have suggested it is. As the commenters acknowledged, however, diversion is possible, especially if the potatoes are not treated with a sprout inhibitor.
Comments Regarding Post-Harvest Inspection
We proposed that, after harvest but before packing, a biometric sample would have to be taken from each consignment of potatoes destined for export to
Two commenters requested that a potato that exhibits only "peeps" should not be considered to be sprouting. The commenters stated that "peeps" are non-propagative, and that treatment with sprout inhibitors precludes their further development into propagative material.
"Peeps" are potato buds that either lack sprouts, or that have nascent sprouts that have not yet become elongated. We consider a potato to be sprouting when it exhibits green sprouts, regardless of degree of elongation. Thus, a potato that exhibits only buds would not be considered to be sprouting, while a potato that exhibits both buds and green sprouts would.
One commenter asked how many potatoes would be sampled from each consignment. The commenter expressed concern that some of the quarantine pests that could follow the pathway of potatoes into
The sample will be a biometric sample. In biometric sampling, a confidence level for pest freedom in a particular consignment is established, and the consignment is sampled at the rate needed to provide that level of confidence; in other words, the sample size has to be statistically relevant for purposes of claiming pest freedom for that particular consignment. As a result, in biometric sampling, lot size and sampling size are directly correlated.
Comment Regarding Sealed Means of Conveyance
We proposed that each consignment of potatoes from
If the seal is broken en route, we proposed that an inspector at the port of first arrival would take remedial measures jointly agreed to by APHIS and the NPPO of
One commenter stated that, if the agricultural seal for the means of conveyance is broken early on during transit to
Pursuant to Section 7714 of the PPA, an inspector at a port of first arrival could hold, seize, quarantine, treat, apply other remedial measures to, destroy, or otherwise dispose of such a means of conveyance.
Comments Regarding Traceback Procedures
We proposed traceback procedures if quarantine pests were discovered on potatoes from
In the event that this occurs, we stated that the potatoes would be traced back to the packinghouse in which they were packed using the packinghouse number specified on the phytosanitary certificate.
The packinghouse would be required to identify the grower from which the potatoes originated, and the grower would be required to identify the place of production in which the potatoes were grown. That place of production would be suspended from the export program for potatoes to
If the grower is unable to identify the place of production in which the potatoes were grown, that grower would be suspended from the export program for the remainder of the shipping season.
Finally, if the packinghouse is unable to identify the grower from which the potatoes originated, that packinghouse would be suspended from the export program for potatoes to
One commenter stated that these traceback procedures presuppose a highly integrated production system in which a packinghouses and producers work in conjunction and keep accurate records regarding potato production and incoming and outgoing shipments, and that this sort of integrated production system is unlikely to exist in
We agree with the comment that the traceback procedures presuppose that producers and packinghouses work in conjunction and keep accurate records regarding potato production and incoming and outgoing shipments. However, we disagree with the commenter's assertion that this sort of integrated production system is impracticable in
A commenter expressed concern that suspending a place of production, grower, or packinghouse from the export program for the remainder of a shipping season would not address the plant pest risk that led the grower or packinghouse to ship infested potatoes to
We agree with the commenter. In this final rule, the place of production, grower, or packinghouse will be suspended from the export program for at least the remainder of the shipping season, and will continue to be suspended from the program in subsequent seasons until APHIS and the NPPO of
Miscellaneous
In the proposed rule, we proposed to add the conditions governing the importation of potatoes from
In the proposed rule, we proposed that each consignment of potatoes shipped from
In reviewing our proposed rule in light of other sections of the regulations, we concluded that our proposed phytosanitary certificate requirement was significantly more prescriptive than most other phytosanitary certificate requirements for fruits and vegetables authorized importation into
For the sake of consistency with those other sections of the regulations, in this final rule, we are requiring that each consignment of potatoes shipped from
This change pertains merely to the statement on the phytosanitary certificate. It does not modify any of the other requirements of
Therefore, for the reasons given in the proposed rule and in this document, we are adopting the proposed rule as a final rule, with the changes discussed in this document.
Executive Order 12866 and Regulatory Flexibility Act
This final rule has been determined to be not significant for the purposes of Executive Order 12866 and, therefore, has not been reviewed by the
In accordance with the Regulatory Flexibility Act, we have analyzed the potential economic effects of this action on small entities. The analysis is summarized below. Copies of the full analysis are available on the Regulations.gov Web site (see footnote 1 in this document for a link to Regulations.gov) or by contacting the person listed under FOR FURTHER INFORMATION CONTACT.
This analysis examines the expected economic impact for U.S. small entities of a final rule that will allow the importation of potato tubers for consumption from
In recent years,
Under these circumstances, the Administrator of the Animal and
Executive Order 12988
This final rule allows fresh potatoes for consumption to be imported into
Paperwork Reduction Act
In accordance with section 3507(d) of the Paperwork Reduction Act of 1995 (44 U.S.C. 3501 et seq.), the information collection or recordkeeping requirements included in this final rule, which were filed under 0579-0413, have been submitted for approval to the
E-Government Act Compliance
The Animal and
List of Subjects in 7 CFR Part 319
Coffee, Cotton, Fruits, Imports, Logs, Nursery stock, Plant diseases and pests, Quarantine, Reporting and recordkeeping requirements, Rice, Vegetables.
Accordingly, we are amending 7 CFR part 319 as follows:
PART 319--FOREIGN QUARANTINE NOTICES
1. The authority citation for part 319 continues to read as follows:
Authority: 7 U.S.C. 450, 7701-7772, and 7781-7786; 21 U.S.C. 136 and 136a; 7 CFR 2.22, 2.80, and 371.3.
2. Section 319.56-66 is added to read as follows:
Fresh potatoes (Solanum tuberosum L.) may be imported into
(a) The national plant protection organization (NPPO) of
(b) The potatoes may be imported in commercial consignments only.
(c) The potatoes must be produced by a grower who is registered in a certification program administered by the NPPO of
(d) The potatoes must be packed for export in packinghouses that are registered with the NPPO of
(e) After harvest but prior to packing, the potatoes must be washed, cleaned of soil and debris, and treated with a sprout inhibitor in accordance with the bilateral workplan.
(f) A biometric sample of potatoes must be taken from each consignment of potatoes destined for export to
(g) Each consignment of potatoes shipped from
(h) Each consignment of potatoes shipped from
(i) If quarantine pests are discovered on potatoes from
(1) The packinghouse must identify the grower from which the potatoes originated, and the grower must identify the place of production in which the potatoes were grown. That place of production will be suspended from the export program for potatoes to
(2) If the grower is unable to identify the place of production in which the potatoes were grown, that grower will be suspended from the export program for potatoes to
(3) If the packinghouse is unable to identify the grower from which the potatoes originated, that packinghouse will be suspended from the export program for potatoes to
(Approved by the
Done in
Administrator, Animal and
[FR Doc. 2014-06619 Filed 3-25-14;
BILLING CODE 3410-34-P
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