Wood Packaging Material Used in Domestic Commerce, 43643-43645 [E9-20708]
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43643
Proposed Rules
Federal Register
Vol. 74, No. 165
Thursday, August 27, 2009
This section of the FEDERAL REGISTER
contains notices to the public of the proposed
issuance of rules and regulations. The
purpose of these notices is to give interested
persons an opportunity to participate in the
rule making prior to the adoption of the final
rules.
DEPARTMENT OF AGRICULTURE
Animal and Plant Health Inspection
Service
7 CFR Part 301
[Docket No. APHIS–2009–0016]
RIN 0579–AD01
Wood Packaging Material Used in
Domestic Commerce
srobinson on DSKHWCL6B1PROD with PROPOSALS
AGENCY: Animal and Plant Health
Inspection Service, USDA.
ACTION: Advance notice of proposed
rulemaking and request for comments;
notice of intent to prepare an
environmental impact statement.
SUMMARY: We are soliciting public
comment on regulatory options that
could be applied to wood packaging
material (e.g., crates, dunnage, wooden
spools, pallets, packing blocks) used in
domestic commerce to decrease the risk
of the artificial spread of plant pests
such as the emerald ash borer and the
Asian longhorned beetle. These and
other plant pests that could be
transported interstate by wood
packaging material pose a serious threat
to U.S. agriculture and to natural,
cultivated, and urban forests. We are
also announcing our intent to prepare
an environmental impact statement on
various potential pest mitigation
measures and opening a public scoping
period for this document.
DATES: We will consider all comments
that we receive on or before October 26,
2009.
ADDRESSES: You may submit comments
by either of the following methods:
• Federal eRulemaking Portal: Go to
https://www.regulations.gov/fdmspublic/
component/
main?main=DocketDetail&d=APHIS2009-0016 to submit or view comments
and to view supporting and related
materials available electronically.
• Postal Mail/Commercial Delivery:
Please send two copies of your comment
to Docket No. APHIS–2009–0016,
Regulatory Analysis and Development,
VerDate Nov<24>2008
16:24 Aug 26, 2009
Jkt 217001
PPD, APHIS, Station 3A–03.8, 4700
River Road Unit 118, Riverdale, MD
20737–1238. Please state that your
comment refers to Docket No. APHIS–
2009–0016.
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: Additional
information about APHIS and its
programs is available on the Internet at
https://www.aphis.usda.gov.
FOR FURTHER INFORMATION CONTACT: Mr.
Paul Chaloux, National Emerald Ash
Borer Program Manager, PPQ, APHIS,
4700 River Road Unit 137, Riverdale,
MD 20737–1236; (301) 734–0917.
SUPPLEMENTARY INFORMATION:
Background
The regulations in Subpart—Logs,
Lumber, and Other Unmanufactured
Wood Articles (7 CFR 319.40–1 though
319.40–11, referred to below as the
regulations) restrict the importation of
many types of wood articles, including
items such as pallets, crates, boxes, and
pieces of wood used to support and
brace cargo. These types of articles are
known as wood packaging materials
(WPM). Introductions into the United
States of exotic plant pests such as the
pine shoot beetle Tomicus piniperda
(Scolytidae) and the Asian longhorned
beetle Anaplophora glabripennis
(Cerambycidae) among others have been
linked to the importation of WPM. Risk
of the artificial spread of plant pests has
also been linked to the domestic
movement of WPM in and around
quarantined areas.
The variety of woods and lumber
qualities used in the construction of
WPM make it susceptible to infestation
by a wide range of wood pests and
diseases. WPM is frequently constructed
from lower grade lumber derived from
an assortment of woods. Additionally,
lumber used in WPM construction may
be fresh cut and may not have
undergone sufficient processing or
treatment to kill pests. Furthermore,
WPM is very often reused, recycled, or
PO 00000
Frm 00001
Fmt 4702
Sfmt 4702
remanufactured, and the true origin of
any specific piece of WPM is difficult to
determine, which means that its
phytosanitary status cannot be fully
ascertained. These facts, coupled with
the amount of WPM in circulation,
create a high level of concern that WPM
may serve as a vehicle for human
assisted long-distance movement of
various plant pests.
Currently, the regulations in 7 CFR
part 301 contain domestic quarantine
notices for specific pests that identify
regulated articles, quarantined areas,
and conditions governing the interstate
movement of regulated articles from
quarantined areas. The domestic
quarantines for wood pests, such as
emerald ash borer and Asian
longhorned beetle, regulate the
movement of logs, lumber, and other
unmanufactured wood articles from
quarantined areas to non-quarantined
areas within the United States.
Quarantine requirements governing
movement of WPM vary for different
pests. The variety of requirements
creates a regulatory framework that may
create confusion and present challenges
to industry and stakeholder compliance.
As a result, we are exploring the
development of uniform measures to
govern interstate movement of all WPM
in order to provide greater ease of
comprehension and compliance. This
action is supported by various WPM
industry groups.
We are publishing this advance notice
of proposed rulemaking in order to seek
information and develop regulatory
options on the general problem of plant
pests in WPM moved interstate. WPM
accompanies nearly all types of
domestically shipped commodities,
from fruits and vegetables to machinery
and electrical equipment. National
Wooden Pallet and Container
Association figures indicate that 1.2
billion pallets are currently in
circulation in the United States, with 93
percent of all goods moving on those
pallets. We are seeking ways to
maximize our protection against the
artificial spread of various plant pests
by WPM without placing unjustified
strain on domestic commerce and
shipping requirements. We are
requesting public comment on what
actions would be most effective and
appropriate to reduce the risk of this
potential spread.
E:\FR\FM\27AUP1.SGM
27AUP1
43644
Federal Register / Vol. 74, No. 165 / Thursday, August 27, 2009 / Proposed Rules
srobinson on DSKHWCL6B1PROD with PROPOSALS
We are specifically seeking options
for establishing uniform requirements
for the domestic handling of WPM,
alternative treatments to methyl
bromide that could be used to reduce
the risk of WPM contributing to the
artificial spread of various plant pests,
as well as alternative practices for
handling WPM. These measures would
be independent of any specific
movement restrictions and treatment
requirements contained in 7 CFR part
301 for particular plant pests.
Options for Managing the Pest Risks
Associated With WPM
We are specifically requesting
comment on options for strengthening
our response to the risks associated with
the restrictions on interstate movement
of WPM, the potential impacts of
increased use of alternative packaging
materials such as plastic pallets and/or
processed wood, and a number of
technical questions.
At this time, we are considering the
feasibility of implementing International
Plant Protection Convention (IPPC)
treatment standards as requirements for
the domestic movement of WPM. In a
final rule published in the Federal
Register on September 16, 2004 (69 FR
55719–55733; Docket No. 02–032–3), we
amended the regulations in order to
update the requirements for importation
of WPM to correspond with standards
established by the IPPC in International
Standards for Phytosanitary Measures
(ISPM) 15, ‘‘Guidelines for Regulating
Wood Packaging Material in
International Trade.’’ Paragraph (b) of
§ 319.40–3 of the regulations lists the
IPPC requirements, which include
either heat treatment or fumigation with
methyl bromide and the proper marking
of all treated materials with the
approved IPPC symbol and specific
control numbers.
Another option for strengthening
regulations concerning the domestic
movement of WPM is a practice
employed by a segment of the pallet
industry called pooling. Pooled pallet
companies retain ownership of
individual pallets through a pallet’s
lifecycle through rigorous inventory
tracking and management, leasing these
pallets to companies engaged in
interstate commodity movement. The
pooled pallets are constructed from a
higher grade of wood than traditional
pallets, with strict specifications
pertaining to such factors as species of
tree and source location. Some pallets
are constructed out of plastics or resin,
which is typically recycled into new
pallets at the end of the first pallet’s
lifecycle. A third variety of pallet is
constructed of a combination of wood
VerDate Nov<24>2008
16:24 Aug 26, 2009
Jkt 217001
and plastics. Combining IPPC
treatments with pallet pooling may
provide sufficient mitigation of the pest
risk associated with WPM moving
domestically in the United States.
We are also seeking ways to respond
to environmental concerns about the use
of methyl bromide fumigation on
domestic wood products in the long
term. Most fumigations of wood
products have historically involved
treatments with methyl bromide due to
convenience, cost, availability, ease of
handling, timely completion of
treatment, and good efficacy. Any
potential increase in the use of methyl
bromide is of concern because of the
associated risk of increased ozone
depletion, which results in increased
ultraviolet radiation at the Earth’s
surface. We are intent on minimizing
the use of methyl bromide in order to
protect the stratospheric ozone layer,
and we are seeking options that will
accomplish this objective.
Notice of Intent To Prepare an
Environmental Impact Statement
These scoping questions include
inquiries relevant to the preparation of
an environmental impact statement
(EIS). The EIS will examine the range of
potential effects that the proposed
applications could pose to the human
environment, taking into account those
alternatives and issues presented in
response to this advance notice of
proposed rulemaking.
We are seeking public comment on
the options discussed in this document.
There may also be additional
information relevant to domestic
production and movement of WPM that
should be considered during the
drafting of any potential regulation. In
particular, APHIS would like to improve
its understanding of the scientific,
economic, and logistical aspects of the
domestic production, use, and
movement of WPM and the potential
protection that a domestic regulation
might provide for domestic forests and
natural resources.
The environmental effects of any
alternatives selected will be analyzed in
full compliance with the National
Environmental Policy Act in the EIS
mentioned above. Our goal is to
maximize protection of U.S. agriculture
and forests against plant pests
associated with WPM without unduly
affecting domestic trade or the
environment. We are interested in
information on any alternatives that
would accomplish this goal. We
welcome comments that address the
economic impacts that the various
options may have on domestic entities.
PO 00000
Frm 00002
Fmt 4702
Sfmt 4702
We are also seeking public comment
addressing the following questions,
which will help us better consider the
potential issues surrounding the
proposed EIS and any possible
regulations governing interstate
movement of WPM that would mitigate
the pest risks associated with these
articles:
1. Are there issues of concern if we
were to establish domestic regulations
pertaining to the interstate movement of
WPM that mirror the IPPC treatment
standards?
2. Other than ISPM 15 treatments as
required for exportation of WPM and
treatments authorized under specific
domestic pest quarantines, what
environmentally sound regulatory or
nonregulatory actions would maximize
protection against the spread of invasive
pests associated with WPM in a costeffective manner?
3. Are data available for treatments,
other than those currently authorized
under the regulations, which might be
used nationally to reduce the risk of
WPM introducing pests into new
habitats?
4. Could the imposition of a
requirement that WPM moving
interstate be bark-free reduce the need
for other regulatory treatment
requirements?
5. What is the magnitude of the pest
risks associated with WPM moving
interstate and to what extent would the
options presented here, or other options,
reduce these risks?
6. APHIS would like to better
understand the potential economic
effects of requiring treatment for
interstate movement of WPM, including
the following specific issues:
a. What proportion of WPM currently
used domestically is either made with
heat-treated (core temperature raised to
a prescribed level for a prescribed
period of time) or methyl bromide
fumigated raw wood inputs, or treated
using either of these methods following
construction?
b. If heat treatment or methyl bromide
fumigation of all WPM were required,
what proportions of WPM producers
would install new, additional, or
upgraded heat-treating or fumigating
equipment at their facilities?
c. How do the prices of treated wood
inputs for WPM construction and repair
compare to the prices of untreated wood
inputs?
d. What are the typical one-time costs
associated with the purchase and
installation of heat treating or methyl
bromide fumigation equipment for raw
wood inputs or finished WPM, and
what are the time periods involved in
E:\FR\FM\27AUP1.SGM
27AUP1
srobinson on DSKHWCL6B1PROD with PROPOSALS
Federal Register / Vol. 74, No. 165 / Thursday, August 27, 2009 / Proposed Rules
the purchase and installation of the
treatment equipment?
e. What are the typical ongoing
operating costs associated with heat
treatment or methyl bromide fumigation
of wood inputs or constructed WPM
(including labor, energy, and other
variable expenses)?
f. Information provided by the
American Lumber Standards Committee
indicates that there is significant unused
heat treatment capacity across the
United States. Is this capacity
appropriate for both supplying treated
inputs and treating finished products?
And is this capacity suitably distributed
regionally to adequately serve the WPM
industry if treatment were required for
all WPM moved interstate?
7. What would be the environmental
effects of requiring treatment of WPM
moved interstate, including effects on
global climate change and the
stratospheric ozone layer? What would
be the environmental effects of
alternative packaging materials?
a. If the WPM industry is given the
option of heat treatment or methyl
bromide fumigation, what, if any,
change would occur in carbon dioxide
emissions relative to current global
emissions, and what, if any, changes
would occur in atmospheric bromine
concentrations relative to current global
concentrations?
b. What effect would changes in rates
of use of the most likely alternative
packaging materials have on emissions?
8. How could APHIS best monitor
compliance with treatment
requirements? How can WPM be
identified as eligible for interstate
movement if treatment were to be
required? Should we recognize ISPM 15
markings as one means of identifying
WPM as eligible for interstate
movement?
9. Various parties are frequently
involved in the construction and
interstate movement of WPM. Who
should be responsible for ensuring that
WPM moving interstate meets any
requirements that might be imposed?
10. Is it feasible and cost-effective for
the shipping industry to replace WPM
with processed wood packaging
material or other alternative packaging
material?
a. What are the most likely
substitutes?
b. What portion of the packaging
material market do alternative materials
currently comprise?
11. One advantage of wood dunnage
is its biodegradable nature. What would
be the environmental effects, if any, of
requiring that less biodegradable
materials be substituted for wood
dunnage?
VerDate Nov<24>2008
16:24 Aug 26, 2009
Jkt 217001
12. Concern has been expressed over
the relative fire hazards associated with
certain packaging materials, specifically
plastic. Is there any specific information
about the fire hazard of WPM relative to
other packaging materials that should be
considered in our assessment of
environmental and other risks?
13. If treatment of some kind were to
be required for all WPM moved
interstate, would the industry need a
phase-in period to allow time to adapt?
If so, how long should this phase-in
period last?
In addition to the questions listed
above, we are asking that the public
identify any other issues that they
consider to be appropriate in connection
with amending the regulations
governing the interstate movement of
WPM.
This action has been determined to be
not significant for the purposes of
Executive Order 12866 and, therefore,
has not been reviewed by the Office of
Management and Budget.
Authority: 7 U.S.C. 7701–7772 and 7781–
7786; 7 CFR 2.22, 2.80, and 371.3.
Done in Washington, DC, this 24th day of
August 2009.
Kevin Shea,
Acting Administrator, Animal and Plant
Health Inspection Service.
[FR Doc. E9–20708 Filed 8–26–09; 8:45 am]
BILLING CODE 3410–34–P
DEPARTMENT OF TRANSPORTATION
Federal Aviation Administration
14 CFR Part 39
[Docket No. FAA–2009–0719; Directorate
Identifier 2009–NM–078–AD]
RIN 2120–AA64
Airworthiness Directives; Learjet
Model 45 Airplanes
AGENCY: Federal Aviation
Administration (FAA), DOT.
ACTION: Notice of proposed rulemaking
(NPRM).
SUMMARY: We propose to adopt a new
airworthiness directive (AD) for certain
Learjet Model 45 airplanes. This
proposed AD would require inspecting
the baggage bay door fire barrier seal for
inconel mesh in the fire barrier seal
material; for certain airplanes,
inspecting the fiberglass doublers for
presence of red Room Temperature
Vulcanizing (RTV) sealant; and doing
related investigative and corrective
actions if necessary. This proposed AD
results from reports of incorrect external
baggage door seal material and door seal
PO 00000
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Fmt 4702
Sfmt 4702
43645
sealant as well as incorrect sealant on
interior baggage panels used during
manufacture of the airplane. We are
proposing this AD to prevent the use of
door seals and sealant that do not meet
flammability requirements, which could
result in an uncontrollable and
undetected fire within the baggage
compartment.
DATES: We must receive comments on
this proposed AD by October 13, 2009.
ADDRESSES: You may send comments by
any of the following methods:
• Federal eRulemaking Portal: Go to
https://www.regulations.gov. Follow the
instructions for submitting comments.
• Fax: 202–493–2251.
• Mail: U.S. Department of
Transportation, Docket Operations, M–
30, West Building Ground Floor, Room
W12–140, 1200 New Jersey Avenue, SE.,
Washington, DC 20590.
• Hand Delivery: U.S. Department of
Transportation, Docket Operations, M–
30, West Building Ground Floor, Room
W12–140, 1200 New Jersey Avenue, SE.,
Washington, DC 20590, between 9 a.m.
and 5 p.m., Monday through Friday,
except Federal holidays.
For service information identified in
this proposed AD, contact Learjet, Inc.,
One Learjet Way, Wichita, Kansas
67209–2942; telephone 316–946–2000;
fax 316–946–2220; e-mail
ac.ict@aero.bombardier.com; Internet
https://www.bombardier.com. You may
review copies of the referenced service
information at the FAA, Transport
Airplane Directorate, 1601 Lind
Avenue, SW., Renton, Washington. For
information on the availability of this
material at the FAA, call 425–227–1221
or 425–227–1152.
Examining the AD Docket
You may examine the AD docket on
the Internet at https://
www.regulations.gov; or in person at the
Docket Management Facility between 9
a.m. and 5 p.m., Monday through
Friday, except Federal holidays. The AD
docket contains this proposed AD, the
regulatory evaluation, any comments
received, and other information. The
street address for the Docket Office
(telephone 800–647–5527) is in the
ADDRESSES section. Comments will be
available in the AD docket shortly after
receipt.
FOR FURTHER INFORMATION CONTACT:
William Griffith, Aerospace Engineer,
Airframe Branch, ACE–118W, FAA,
Wichita Aircraft Certification Office,
1801 Airport Road, Room 100, MidContinent Airport, Wichita, Kansas
67209; telephone (316) 946–4116; fax
(316) 946–4107.
SUPPLEMENTARY INFORMATION:
E:\FR\FM\27AUP1.SGM
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Agencies
[Federal Register Volume 74, Number 165 (Thursday, August 27, 2009)]
[Proposed Rules]
[Pages 43643-43645]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: E9-20708]
========================================================================
Proposed Rules
Federal Register
________________________________________________________________________
This section of the FEDERAL REGISTER contains notices to the public of
the proposed issuance of rules and regulations. The purpose of these
notices is to give interested persons an opportunity to participate in
the rule making prior to the adoption of the final rules.
========================================================================
Federal Register / Vol. 74, No. 165 / Thursday, August 27, 2009 /
Proposed Rules
[[Page 43643]]
DEPARTMENT OF AGRICULTURE
Animal and Plant Health Inspection Service
7 CFR Part 301
[Docket No. APHIS-2009-0016]
RIN 0579-AD01
Wood Packaging Material Used in Domestic Commerce
AGENCY: Animal and Plant Health Inspection Service, USDA.
ACTION: Advance notice of proposed rulemaking and request for comments;
notice of intent to prepare an environmental impact statement.
-----------------------------------------------------------------------
SUMMARY: We are soliciting public comment on regulatory options that
could be applied to wood packaging material (e.g., crates, dunnage,
wooden spools, pallets, packing blocks) used in domestic commerce to
decrease the risk of the artificial spread of plant pests such as the
emerald ash borer and the Asian longhorned beetle. These and other
plant pests that could be transported interstate by wood packaging
material pose a serious threat to U.S. agriculture and to natural,
cultivated, and urban forests. We are also announcing our intent to
prepare an environmental impact statement on various potential pest
mitigation measures and opening a public scoping period for this
document.
DATES: We will consider all comments that we receive on or before
October 26, 2009.
ADDRESSES: You may submit comments by either of the following methods:
Federal eRulemaking Portal: Go to https://www.regulations.gov/fdmspublic/component/main?main=DocketDetail&d=APHIS-2009-0016 to submit or view comments and
to view supporting and related materials available electronically.
Postal Mail/Commercial Delivery: Please send two copies of
your comment to Docket No. APHIS-2009-0016, Regulatory Analysis and
Development, PPD, APHIS, Station 3A-03.8, 4700 River Road Unit 118,
Riverdale, MD 20737-1238. Please state that your comment refers to
Docket No. APHIS-2009-0016.
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: Additional information about APHIS and its
programs is available on the Internet at https://www.aphis.usda.gov.
FOR FURTHER INFORMATION CONTACT: Mr. Paul Chaloux, National Emerald Ash
Borer Program Manager, PPQ, APHIS, 4700 River Road Unit 137, Riverdale,
MD 20737-1236; (301) 734-0917.
SUPPLEMENTARY INFORMATION:
Background
The regulations in Subpart--Logs, Lumber, and Other Unmanufactured
Wood Articles (7 CFR 319.40-1 though 319.40-11, referred to below as
the regulations) restrict the importation of many types of wood
articles, including items such as pallets, crates, boxes, and pieces of
wood used to support and brace cargo. These types of articles are known
as wood packaging materials (WPM). Introductions into the United States
of exotic plant pests such as the pine shoot beetle Tomicus piniperda
(Scolytidae) and the Asian longhorned beetle Anaplophora glabripennis
(Cerambycidae) among others have been linked to the importation of WPM.
Risk of the artificial spread of plant pests has also been linked to
the domestic movement of WPM in and around quarantined areas.
The variety of woods and lumber qualities used in the construction
of WPM make it susceptible to infestation by a wide range of wood pests
and diseases. WPM is frequently constructed from lower grade lumber
derived from an assortment of woods. Additionally, lumber used in WPM
construction may be fresh cut and may not have undergone sufficient
processing or treatment to kill pests. Furthermore, WPM is very often
reused, recycled, or remanufactured, and the true origin of any
specific piece of WPM is difficult to determine, which means that its
phytosanitary status cannot be fully ascertained. These facts, coupled
with the amount of WPM in circulation, create a high level of concern
that WPM may serve as a vehicle for human assisted long-distance
movement of various plant pests.
Currently, the regulations in 7 CFR part 301 contain domestic
quarantine notices for specific pests that identify regulated articles,
quarantined areas, and conditions governing the interstate movement of
regulated articles from quarantined areas. The domestic quarantines for
wood pests, such as emerald ash borer and Asian longhorned beetle,
regulate the movement of logs, lumber, and other unmanufactured wood
articles from quarantined areas to non-quarantined areas within the
United States. Quarantine requirements governing movement of WPM vary
for different pests. The variety of requirements creates a regulatory
framework that may create confusion and present challenges to industry
and stakeholder compliance. As a result, we are exploring the
development of uniform measures to govern interstate movement of all
WPM in order to provide greater ease of comprehension and compliance.
This action is supported by various WPM industry groups.
We are publishing this advance notice of proposed rulemaking in
order to seek information and develop regulatory options on the general
problem of plant pests in WPM moved interstate. WPM accompanies nearly
all types of domestically shipped commodities, from fruits and
vegetables to machinery and electrical equipment. National Wooden
Pallet and Container Association figures indicate that 1.2 billion
pallets are currently in circulation in the United States, with 93
percent of all goods moving on those pallets. We are seeking ways to
maximize our protection against the artificial spread of various plant
pests by WPM without placing unjustified strain on domestic commerce
and shipping requirements. We are requesting public comment on what
actions would be most effective and appropriate to reduce the risk of
this potential spread.
[[Page 43644]]
We are specifically seeking options for establishing uniform
requirements for the domestic handling of WPM, alternative treatments
to methyl bromide that could be used to reduce the risk of WPM
contributing to the artificial spread of various plant pests, as well
as alternative practices for handling WPM. These measures would be
independent of any specific movement restrictions and treatment
requirements contained in 7 CFR part 301 for particular plant pests.
Options for Managing the Pest Risks Associated With WPM
We are specifically requesting comment on options for strengthening
our response to the risks associated with the restrictions on
interstate movement of WPM, the potential impacts of increased use of
alternative packaging materials such as plastic pallets and/or
processed wood, and a number of technical questions.
At this time, we are considering the feasibility of implementing
International Plant Protection Convention (IPPC) treatment standards as
requirements for the domestic movement of WPM. In a final rule
published in the Federal Register on September 16, 2004 (69 FR 55719-
55733; Docket No. 02-032-3), we amended the regulations in order to
update the requirements for importation of WPM to correspond with
standards established by the IPPC in International Standards for
Phytosanitary Measures (ISPM) 15, ``Guidelines for Regulating Wood
Packaging Material in International Trade.'' Paragraph (b) of Sec.
319.40-3 of the regulations lists the IPPC requirements, which include
either heat treatment or fumigation with methyl bromide and the proper
marking of all treated materials with the approved IPPC symbol and
specific control numbers.
Another option for strengthening regulations concerning the
domestic movement of WPM is a practice employed by a segment of the
pallet industry called pooling. Pooled pallet companies retain
ownership of individual pallets through a pallet's lifecycle through
rigorous inventory tracking and management, leasing these pallets to
companies engaged in interstate commodity movement. The pooled pallets
are constructed from a higher grade of wood than traditional pallets,
with strict specifications pertaining to such factors as species of
tree and source location. Some pallets are constructed out of plastics
or resin, which is typically recycled into new pallets at the end of
the first pallet's lifecycle. A third variety of pallet is constructed
of a combination of wood and plastics. Combining IPPC treatments with
pallet pooling may provide sufficient mitigation of the pest risk
associated with WPM moving domestically in the United States.
We are also seeking ways to respond to environmental concerns about
the use of methyl bromide fumigation on domestic wood products in the
long term. Most fumigations of wood products have historically involved
treatments with methyl bromide due to convenience, cost, availability,
ease of handling, timely completion of treatment, and good efficacy.
Any potential increase in the use of methyl bromide is of concern
because of the associated risk of increased ozone depletion, which
results in increased ultraviolet radiation at the Earth's surface. We
are intent on minimizing the use of methyl bromide in order to protect
the stratospheric ozone layer, and we are seeking options that will
accomplish this objective.
Notice of Intent To Prepare an Environmental Impact Statement
These scoping questions include inquiries relevant to the
preparation of an environmental impact statement (EIS). The EIS will
examine the range of potential effects that the proposed applications
could pose to the human environment, taking into account those
alternatives and issues presented in response to this advance notice of
proposed rulemaking.
We are seeking public comment on the options discussed in this
document. There may also be additional information relevant to domestic
production and movement of WPM that should be considered during the
drafting of any potential regulation. In particular, APHIS would like
to improve its understanding of the scientific, economic, and
logistical aspects of the domestic production, use, and movement of WPM
and the potential protection that a domestic regulation might provide
for domestic forests and natural resources.
The environmental effects of any alternatives selected will be
analyzed in full compliance with the National Environmental Policy Act
in the EIS mentioned above. Our goal is to maximize protection of U.S.
agriculture and forests against plant pests associated with WPM without
unduly affecting domestic trade or the environment. We are interested
in information on any alternatives that would accomplish this goal. We
welcome comments that address the economic impacts that the various
options may have on domestic entities.
We are also seeking public comment addressing the following
questions, which will help us better consider the potential issues
surrounding the proposed EIS and any possible regulations governing
interstate movement of WPM that would mitigate the pest risks
associated with these articles:
1. Are there issues of concern if we were to establish domestic
regulations pertaining to the interstate movement of WPM that mirror
the IPPC treatment standards?
2. Other than ISPM 15 treatments as required for exportation of WPM
and treatments authorized under specific domestic pest quarantines,
what environmentally sound regulatory or nonregulatory actions would
maximize protection against the spread of invasive pests associated
with WPM in a cost-effective manner?
3. Are data available for treatments, other than those currently
authorized under the regulations, which might be used nationally to
reduce the risk of WPM introducing pests into new habitats?
4. Could the imposition of a requirement that WPM moving interstate
be bark-free reduce the need for other regulatory treatment
requirements?
5. What is the magnitude of the pest risks associated with WPM
moving interstate and to what extent would the options presented here,
or other options, reduce these risks?
6. APHIS would like to better understand the potential economic
effects of requiring treatment for interstate movement of WPM,
including the following specific issues:
a. What proportion of WPM currently used domestically is either
made with heat-treated (core temperature raised to a prescribed level
for a prescribed period of time) or methyl bromide fumigated raw wood
inputs, or treated using either of these methods following
construction?
b. If heat treatment or methyl bromide fumigation of all WPM were
required, what proportions of WPM producers would install new,
additional, or upgraded heat-treating or fumigating equipment at their
facilities?
c. How do the prices of treated wood inputs for WPM construction
and repair compare to the prices of untreated wood inputs?
d. What are the typical one-time costs associated with the purchase
and installation of heat treating or methyl bromide fumigation
equipment for raw wood inputs or finished WPM, and what are the time
periods involved in
[[Page 43645]]
the purchase and installation of the treatment equipment?
e. What are the typical ongoing operating costs associated with
heat treatment or methyl bromide fumigation of wood inputs or
constructed WPM (including labor, energy, and other variable expenses)?
f. Information provided by the American Lumber Standards Committee
indicates that there is significant unused heat treatment capacity
across the United States. Is this capacity appropriate for both
supplying treated inputs and treating finished products? And is this
capacity suitably distributed regionally to adequately serve the WPM
industry if treatment were required for all WPM moved interstate?
7. What would be the environmental effects of requiring treatment
of WPM moved interstate, including effects on global climate change and
the stratospheric ozone layer? What would be the environmental effects
of alternative packaging materials?
a. If the WPM industry is given the option of heat treatment or
methyl bromide fumigation, what, if any, change would occur in carbon
dioxide emissions relative to current global emissions, and what, if
any, changes would occur in atmospheric bromine concentrations relative
to current global concentrations?
b. What effect would changes in rates of use of the most likely
alternative packaging materials have on emissions?
8. How could APHIS best monitor compliance with treatment
requirements? How can WPM be identified as eligible for interstate
movement if treatment were to be required? Should we recognize ISPM 15
markings as one means of identifying WPM as eligible for interstate
movement?
9. Various parties are frequently involved in the construction and
interstate movement of WPM. Who should be responsible for ensuring that
WPM moving interstate meets any requirements that might be imposed?
10. Is it feasible and cost-effective for the shipping industry to
replace WPM with processed wood packaging material or other alternative
packaging material?
a. What are the most likely substitutes?
b. What portion of the packaging material market do alternative
materials currently comprise?
11. One advantage of wood dunnage is its biodegradable nature. What
would be the environmental effects, if any, of requiring that less
biodegradable materials be substituted for wood dunnage?
12. Concern has been expressed over the relative fire hazards
associated with certain packaging materials, specifically plastic. Is
there any specific information about the fire hazard of WPM relative to
other packaging materials that should be considered in our assessment
of environmental and other risks?
13. If treatment of some kind were to be required for all WPM moved
interstate, would the industry need a phase-in period to allow time to
adapt? If so, how long should this phase-in period last?
In addition to the questions listed above, we are asking that the
public identify any other issues that they consider to be appropriate
in connection with amending the regulations governing the interstate
movement of WPM.
This action has been determined to be not significant for the
purposes of Executive Order 12866 and, therefore, has not been reviewed
by the Office of Management and Budget.
Authority: 7 U.S.C. 7701-7772 and 7781-7786; 7 CFR 2.22, 2.80,
and 371.3.
Done in Washington, DC, this 24th day of August 2009.
Kevin Shea,
Acting Administrator, Animal and Plant Health Inspection Service.
[FR Doc. E9-20708 Filed 8-26-09; 8:45 am]
BILLING CODE 3410-34-P