National Organic Program; Organic Livestock and Poultry Practices, 21955-22009 [2016-08023]
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Vol. 81
Wednesday,
No. 71
April 13, 2016
Part II
Department of Agriculture
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Agricultural Marketing Service
7 CFR Part 205
National Organic Program; Organic Livestock and Poultry Practices;
Proposed Rule
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Federal Register / Vol. 81, No. 71 / Wednesday, April 13, 2016 / Proposed Rules
DEPARTMENT OF AGRICULTURE
Agricultural Marketing Service
7 CFR Part 205
[Document Number AMS–NOP–15–0012;
NOP–15–06PR]
RIN 0581–AD44
National Organic Program; Organic
Livestock and Poultry Practices
Agricultural Marketing Service,
USDA.
ACTION: Proposed rule.
AGENCY:
The United States Department
of Agriculture’s (USDA) Agricultural
Marketing Service (AMS) proposes to
amend the organic livestock and poultry
production requirements by: adding
new provisions for livestock handling
and transport for slaughter and avian
living conditions; and expanding and
clarifying existing requirements
covering livestock health care practices
and mammalian living conditions.
DATES: Comments must be received by
June 13, 2016.
ADDRESSES: Interested parties may
submit written comments on this
proposed rule using one of the following
methods:
• Federal eRulemaking Portal: https://
www.regulations.gov. Follow the
instructions for submitting comments.
• Mail: Paul Lewis Ph.D., Director
Standards Division, National Organic
Program, USDA–AMS–NOP, Room
2646-So., Ag Stop 0268, 1400
Independence Ave. SW., Washington,
DC 20250–0268.
Instructions: All submissions received
must include the docket number AMS–
NOP–15–0012; NOP–15–06PR, and/or
Regulatory Information Number (RIN)
0581–AD44 for this rulemaking.
Commenters should identify the topic
and section of the proposed rule to
which their comment refers. All
commenters should refer to the
GENERAL INFORMATION section for
more information on preparing your
comments. All comments received will
be posted without change to https://
www.regulations.gov.
Docket: For access to the docket,
including background documents and
comments received, go to https://
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SUMMARY:
www.regulations.gov. Comments
submitted in response to this proposed
rule will also be available for viewing in
person at USDA–AMS, National Organic
Program, Room 2646-South Building,
1400 Independence Ave. SW.,
Washington, DC, from 9 a.m. to 12 noon
and from 1 p.m. to 4 p.m., Monday
through Friday (except official Federal
holidays). Persons wanting to visit the
USDA South Building to view
comments received in response to this
proposed rule are requested to make an
appointment in advance by calling (202)
720–3252.
FOR FURTHER INFORMATION CONTACT: Paul
Lewis, Ph.D., Director of Standards
Division, Telephone: (202) 720–3252;
Fax: (202) 205–7808.
SUPPLEMENTARY INFORMATION:
Executive Summary
3. Set maximum indoor and outdoor
stocking density for avian species,
which would vary depending on the
type of production and stage of life.
4. Define outdoor access to exclude
the use of structures with solid roofing
for outdoor access and require livestock
and poultry to have contact with soil.
5. Add new requirements for
transporting livestock and poultry to
sale or slaughter.
6. Clarify the application of USDA
Food Safety and Inspection Service
(FSIS) requirements regarding the
handling of livestock and poultry in
connection with slaughter to certified
organic livestock and poultry
establishments and provide for the
enforcement of USDA organic
regulations based on FSIS inspection
findings.
A. Purpose of Proposed Rule
B. Summary of Provisions
This proposed rule would create
greater consistency in organic livestock
practices. AMS has determined that the
current USDA organic regulations (7
CFR part 205) covering livestock health
care practices and living conditions
need additional specificity and clarity to
better ensure consistent compliance by
certified organic operations and to
provide for more effective
administration of the National Organic
Program (NOP) by AMS. One purpose of
the Organic Foods Production Act of
1990 (OFPA) (7 U.S.C. 6501–6522) is to
assure consumers that organically
produced products meet a consistent
and uniform standard (7 U.S.C. 6501).
By facilitating improved compliance
and enforcement of the USDA organic
regulations, the proposed regulations
would better satisfy consumer
expectations that organic livestock meet
a uniform and verifiable animal welfare
standard.
Specifically, this proposed action
would:
1. Clarify how producers and handlers
must treat livestock and poultry to
ensure their health and wellbeing.
2. Clarify when and how certain
physical alterations may be performed
on organic livestock and poultry in
order to minimize stress. Additionally,
some forms of physical alterations
would be prohibited.
This proposed rule would provide
specificity on livestock health care
practices, such as which physical
alteration procedures are prohibited or
restricted for use on organic livestock.
The proposed livestock health care
practice standards include requirements
for euthanasia to reduce suffering of any
sick or disabled livestock. To improve
upon the current standards, this
proposed rule would set separate
standards for mammalian and avian
livestock living conditions to better
reflect the needs and behaviors of the
different species, as well as related
consumer expectations. The proposed
mammalian livestock standards would
cover both ruminants and swine. The
proposed avian living standards would
set maximum indoor and outdoor
stocking densities to ensure the birds
have sufficient space to engage in
natural behaviors. This proposed rule
would add new requirements on the
transport of organic livestock to sale or
slaughter. This proposed rule would
also add a new section to clarify how
organic slaughter facility practices and
FSIS regulations work together to
support animal welfare.
C. Costs and Benefits
AMS estimates the following costs
and benefits of this proposed rule.
Costs
Benefits
Production: $9.5–24.1 million per year (annualized over 13 years) ........
Paperwork burden: $3.6 million annually.
Qualitative:
Establishes a clear standard protecting the value of the USDA organic seal to consumers.
Facilitates level enforcement of organic livestock and poultry
standards.
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Costs
21957
Benefits
Quantitative:
$14.7–62.6 million per year (annualized over 13 years).
Table of Contents
I. General Information
A. Does this action apply to me?
B. What should I consider as I prepare my
comments for AMS?
II. Background
A. Current Organic Livestock Standards
B. NOSB Recommendations
C. AMS Policy
D. Related Issues
III. Overview of Proposed Amendments
A. Livestock Health Care Practice Standard
B. Mammalian Living Conditions
C. Avian Living Conditions
D. Transport to Sale and Slaughter
E. Slaughter Requirements
F. Other Amendments Considered
IV. Related Documents
V. Statutory and Regulatory Authority
A. Executive Order 12866 and 13563
i. Need for the Rule
ii. Baseline
iii. Alternatives Considered
iv. Costs of Proposed Rule
v. Benefits of Proposed Rule
vi. Conclusions
B. Executive Order 12988
C. Regulatory Flexibility Act
D. Executive Order 13175
E. Paperwork Reduction Act
F. Civil Rights Impact Analysis
I. General Information
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A. Does this action apply to me?
You may be potentially affected by
this action if you are engaged in the
meat, egg, poultry, dairy, or animal fiber
industries. Potentially affected entities
may include, but are not limited to:
• Individuals or business entities that
are considering organic certification for
a new or existing livestock farm or
slaughter facility.
• Existing livestock farms and
slaughter facilities that are currently
certified organic under the USDA
organic regulations.
• Certifying agents accredited by
USDA to certify organic livestock
operations and organic livestock
handling operations.
This listing is not intended to be
exhaustive, but identifies key entities
likely to be affected by this action. Other
types of entities could also be affected.
To determine whether you or your
business may be affected by this action,
you should carefully examine the
proposed regulatory text. If you have
questions regarding the applicability of
this action to a particular entity, consult
the person listed under FOR FURTHER
INFORMATION CONTACT.
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B. What should I consider as I prepare
my comments for AMS?
Your comments should clearly
indicate whether or not they support the
proposed action for any or all of the
items in this proposed rule. You should
clearly indicate the reason(s) for the
stated position. Your comments should
also offer any recommended language
changes that would be appropriate for
your position. Please include relevant
information and data to further support
your position (e.g. scientific,
environmental, industry impact
information, etc.).
Specifically, AMS is requesting
comments on the following topics:
1. The clarity of the proposed
requirements: Can farmers, handlers,
and certifying agents readily determine
how to comply with the proposed
regulations?
2. The accuracy of the assumptions
and estimates in the Regulatory Impact
Analysis and Regulatory Flexibility
Analysis pertaining to organic poultry
and egg production. In addition, the
accuracy of AMS’ assertion that the
proposed requirements pertaining to
mammalian livestock codify current
practices among these organic producers
3. The implementation approach and
timeframe. AMS is proposing that all
provisions of this rule must be
implemented within one year of the
publication date of the final rule except
for the outdoor space requirements for
avian species. AMS is proposing two
distinct implementation timeframes for
the outdoor space requirements for
poultry: (1) Three years after the
publication of the final rule any noncertified facility would need to comply
in order to obtain certification; (2) all
facilities certified prior to that threeyear mark would need to comply within
five years of the publication of the final
rule.
II. Background
This proposed rule addresses health
care, transport, slaughter and living
conditions for organic livestock.
However, the provisions for outdoor
access for poultry have a long history of
agency and NOSB actions and are a
focal issue. Outdoor access practices,
particularly for organic layers, vary;
some operations provide large, open-air
outdoor areas, while others provide
minimal outdoor space or use screened,
covered enclosures commonly called
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‘‘porches’’ to provide outdoor space. An
audit in 2010 conducted by the USDA
Office of the Inspector General
identified inconsistencies in
certification practices regarding the use
of porches as outdoor space. To address
that finding, AMS issued draft guidance.
However, after public comment, AMS
determined that rulemaking was
necessary to resolve the divergent
outdoor access practices for organic
poultry and did not finalize the
guidance. To assist with the rulemaking,
the National Organic Standards Board
(NOSB) developed a series of
recommendations to clarify organic
livestock healthcare, transport,
slaughter, and living conditions,
including outdoor access for poultry.
The NOSB deliberation process revealed
broad support within the organic
community and consumer expectations
for specific guidelines for animal care,
including meaningful outdoor access for
poultry.
A. Current Organic Livestock Standards
OFPA authorizes the establishment of
national standards for the marketing of
organically produced agricultural
products. AMS administers the National
Organic Program (NOP), which oversees
the development and implementation of
the national standards for the
production, handling and marketing of
organically produced agricultural
products. Section 6509 of OFPA
authorizes the USDA to implement
regulations regarding standards for
organic livestock products.
Furthermore, OFPA authorizes the
creation of the NOSB to advise USDA
about the implementation of standards
and practices for organic production (7
U.S.C. 6518). The NOSB is a 15-member
Federal Advisory Board appointed by
the Secretary of Agriculture which
meets in public twice annually. OFPA
specifies the composition of the NOSB
and reserves four NOSB seats for
producers/growers, two seats for
handlers/processors. The NOSB solicits
public comment on topics related to the
USDA organic regulations to inform its
public deliberations and decision
making at the open meetings. Any
NOSB recommendations to amend the
USDA organic regulations must be
implemented through the notice and
comment rulemaking process.
The current USDA organic regulations
have broad and general requirements for
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ensuring the welfare of certified organic
livestock and poultry. These regulations
accommodate various livestock
production situations. For all livestock,
the regulations require: an environment
that allows animals to express natural
behaviors; preventive health care to
reduce the likelihood of illness; and
protection from conditions that
jeopardize an animal’s well-being, such
as predators and adverse weather.
The management of domesticated
animals requires that they be contained
in some manner, either to prevent them
from running away or to protect them
from harm. In organic management
systems, securing animal access areas is
important to ensure animals do not
come into contact with prohibited
substances or eat nonorganic feed.
However, the degree to which animals
are restrained or contained in pens,
cages, paddocks, or other enclosures,
may affect their ability to exercise their
natural behaviors.
Consistent with organic farming
principles, the USDA organic
regulations require housing and living
conditions that allow animals to freely
exercise their natural behaviors. Natural
behaviors are species-specific.
Therefore, for example, the USDA
organic regulations require that
ruminants graze at least 120 days per
year and receive 30 percent of dry
matter intake from grazing. The
regulations also describe situations that
warrant denying ruminant animals
access to pasture or the outdoors, e.g.,
for newborn dairy cattle up to six
months. This level of specificity,
however, is not currently provided for
avian species and some mammalian,
non-ruminant livestock.
Further, certifying agents inspect each
organic operation and decide whether or
not to certify the operation. Certifying
agents must consider site-specific
conditions, including prevalent pests
and diseases, weather, and natural
resources of the operation when
determining the acceptability of a
particular management practice. This
flexibility, combined with numerous
combinations of environmental,
cultural, and economic factors, results
in variation in the manner in which the
regulations are applied. For example, in
organic poultry production, outdoor
access ranges from extensive pasture to
roofed enclosures, i.e., porches with no
access to soil or vegetation. This
disparity in amounts of outdoor access
has economic implications for
producers and lessens consumer
confidence in the organic label.
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B. NOSB Recommendations
Between 1994 and 2011, the NOSB
made nine recommendations regarding
livestock health and welfare in organic
production. Between 1997 and 2000,
AMS issued two proposed rules and a
final rule regarding national standards
for the production and handling of
organic products, including livestock
and their products. The NOSB as well
as members of the public commented on
these rulemakings with regard to the
health and welfare of livestock. Key
actions from that period, which led to
the development of the existing
standards on organic livestock, are
summarized below.
(1) In June 1994, the NOSB
recommended a series of provisions to
address the care and handling of
livestock on organic farms. Within this
recommendation, the NOSB developed
much of the framework for organic care
and welfare of animals, including health
care standards, living conditions and
transportation of livestock practices.
(2) In April and October 1995, the
NOSB made a series of
recommendations as addendums to the
June 1994 recommendations. These
recommendations further addressed
various health care practices, a
requirement for outside access, and the
use of vaccines.
(3) On December 16, 1997, AMS
responded to the 1994 and 1995 NOSB
recommendations in a proposed rule to
establish the NOP (62 FR 65850).
Consistent with the NOSB’s
recommendation, the proposed language
would have required that organic
livestock producers develop a
preventive health care plan and use
synthetic drugs only if preventive
measures failed. The 1997 proposed rule
also included standards for livestock
living conditions, including when
animals would be permitted to be
confined. This proposed rule was not
finalized.
(4) In March 1998, the NOSB
reaffirmed its earlier recommendations
on animal health care and living
conditions. The 1998 NOSB
recommendation also stressed the
importance of treating sick livestock by
recommending that any organic
producer who did not take specified
actions to provide care for a diseased
animal would lose certification. This
recommendation also included
provisions to clarify when livestock
could be confined indoors and defined
‘‘outdoors’’ as having direct access to
sunshine.
(5) On March 13, 2000, AMS
published a second proposed rule to
establish the National Organic Program
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(65 FR 13512). AMS responded to the
NOSB’s March 1998 recommendation
on animal health care and living
conditions in this proposed rule. AMS
proposed that organic producers must
use disease prevention practices first,
then approved synthetic medications
only if preventive measures failed.
However, a producer would need to use
all appropriate measures to save the
animal even if the animal lost organic
status. In addition, AMS proposed that
the living conditions for organic
livestock must maintain the health of
the animals and allow for natural
behaviors, including access to the
outdoors.
(6) On December 21, 2000, AMS
published a final rule establishing the
USDA organic regulations (65 FR
80548). Through this action, AMS
finalized the standards for health care
practices and livestock living
conditions. That rule became effective
on February 20, 2001, and was fully
implemented on October 21, 2002.
(7) In May 2002, the NOSB again
addressed outdoor access, stating this
should include open air and direct
access to sunshine.1 In addition, the
May 2002 recommendation stated that
bare surfaces other than soil do not meet
the intent of outdoor access for poultry.
This recommendation also included
clarifications as to when livestock could
be temporarily confined.
(8) In March 2005, the NOSB
recommended that the temporary
confinement provision for ‘‘stage of
production’’ be changed to ‘‘stage of
life.’’ 2 The NOSB reasoned that ‘‘stage
of life’’ would more appropriately allow
livestock to be temporarily confined
even if they were not producing milk or
eggs at the time of confinement.
(9) On October 24, 2008, AMS
published a proposed rule on access to
pasture for ruminant livestock (73 FR
63584). AMS published the final rule,
Access to Pasture (Livestock) (75 FR
7154), on February 17, 2010 (75 FR
7154). This rule was based on several
NOSB recommendations regarding
ruminant livestock feed and living
conditions. This rule set a requirement
that ruminants obtain a minimum of 30
percent dry matter intake from grazing
during the grazing season.
(10) Between 2009 and 2011, the
NOSB issued a series of
1 NOSB, 2002. Recommendation Access to
Outdoors for Poultry. Available at: https://
www.ams.usda.gov/rules-regulations/organic/nosb/
recommendations.
2 NOSB, 2005. Formal Recommendation by the
NOSB to the NOP. NOSB recommendation for Rule
change—‘‘Stage of Production’’ to ‘‘Stage of Life.’’
Available at: https://www.ams.usda.gov/rulesregulations/organic/nosb/recommendations.
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recommendations on animal welfare.
These were intended to incorporate
prior NOSB recommendations that AMS
had not addressed. The November 2009
recommendation suggested revisions
and additions to the livestock health
care practice standards and living
conditions standards.3 The NOSB
recommended banning or restricting
certain physical alterations and
requiring organic producers to keep
records on animals which were lame
and/or sick and how they were treated.
This recommendation proposed to
separate mammalian living conditions
from avian living conditions sections of
the USDA organic regulations so that
the provisions could be more directly
tailored to various livestock species. In
the mammalian section, the NOSB
proposed mandatory group housing of
swine and a requirement for rooting
materials for swine. In the avian section,
the NOSB proposed a variety of
provisions, including maximum
ammonia levels, perch space
requirements and outdoor access
clarifications.
(11) In October 2010, the NOSB
passed a recommendation on the use of
drugs for pain relief.4 The NOSB
recommended changing the health care
practice standards to allow the
administration of drugs in the absence
of illness to prevent disease or alleviate
pain. The NOSB stated that such a
change would improve the welfare of
organic livestock.
(12) In December 2011, the NOSB
passed an additional animal welfare
recommendation.5 The 2011
recommendation added definitions for
terms related to livestock production
and provisions for health care standard
and living conditions. The NOSB also
revised its prior recommendation on
physical alterations to provide a more
inclusive list of banned procedures. In
the mammalian living conditions
section, the NOSB recommended that
outdoor access for swine include a
minimum of 25 percent vegetative cover
at all times. For avian species, the NOSB
recommended specific indoor and
outdoor space requirements, e.g.,
stocking densities, among other
provisions for living conditions specific
to poultry. For layers, the NOSB
3 NOSB, 2009. Formal Recommendation by the
NOSB to the NOP, Animal Welfare. Available at:
https://www.ams.usda.gov/rules-regulations/
organic/nosb/recommendations.
4 NOSB, 2010. Formal Recommendation by the
NOSB to the NOP, Clarification of 205.238(c)(2).
Available at: https://www.ams.usda.gov/rulesregulations/organic/nosb/recommendations.
5 NOSB, 2011. Formal Recommendation by the
NOSB to the NOP, Animal Welfare and Stocking
Rates. Available at: https://www.ams.usda.gov/rulesregulations/organic/nosb/recommendations.
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recommended a minimum of 2.0 ft2 per
bird indoors and outdoors.
(13) In December 2011, the NOSB
passed a separate recommendation to
add standards for transportation of
livestock to slaughter facilities and the
slaughter process.6 The NOSB’s
recommendation for transport included
provisions for veal calves and the
trailers/trucks used to transport animals
to ensure continuous organic
management. The NOSB recommended
that slaughter facilities must meet
certain performance-based standards
assessed via observations of animal
handling and any slips, falls or
vocalizations before and during
slaughter.
C. AMS Policy
On October 29, 2002, AMS issued a
memorandum to clarify outdoor access
and temporary confinement
requirements for livestock under the
USDA organic regulations.7 The
memorandum stated that producers are
required to balance accommodations for
an animal’s health and natural behavior
with measures to ensure an animal’s
safety and well-being. The
memorandum further explained that the
USDA organic regulations do not
specify an outdoor space allowance or
stocking rate, nor do they require that
all animals in the herd or flock have
access to the outdoors at the same time.
This memorandum explained how
producers could provide evidence of
compliance to support temporary
confinement. This memorandum was
incorporated into the NOP Handbook on
January 31, 2011, and is retained as
current policy.
On February 17, 2010, AMS
published a final rule on Access to
Pasture (Livestock). The final rule was
in response to the 2005 NOSB
recommendation and extensive public
input requesting clear outdoor access
requirements for ruminant livestock.
The final rule established that
ruminants obtain at least 30 percent dry
matter intake from grazing during the
grazing season. The rule provided
clarity to correct inconsistent
application and enforcement of the
outdoor access provisions for ruminant
livestock.
In March 2010, the USDA Office of
the Inspector General (OIG) issued a
6 NOSB,
2011. Formal Recommendation by the
NOSB to the NOP, Animal Handling and Transport
to Slaughter. Available at: https://
www.ams.usda.gov/rules-regulations/organic/nosb/
recommendations.
7 National Organic Program, 2002. Access to the
Outdoors for Livestock. Retained as Policy Memo
11–5. Available in the NOP Handbook: https://
www.ams.usda.gov/rules-regulations/organic/
handbook.
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report concerning, in part, AMS
guidance on outdoor access for organic
livestock.8 The OIG found inconsistent
certification practices regarding outdoor
access for poultry. The OIG
recommended that AMS issue guidance
on outdoor access for livestock and
poultry.
On October 13, 2010, AMS published
draft guidance, Outdoor Access for
Organic Poultry, for public comment.9
The draft guidance advised certifying
agents to use the 2002 and 2009 NOSB
recommendations as the basis for
certification decisions regarding outdoor
access for poultry.10 The draft guidance
informed certifying agents and
producers that maintaining poultry on
soil or outdoor runs would demonstrate
compliance with the outdoor access
requirement in § 205.239.
AMS received 69 comments on the
draft guidance. Comments varied
widely. Some supported more specific
and stringent stocking densities and
soil-based outdoor access, citing animal
health and environmental benefits.
Other comments favored maintaining an
allowance for porches as acceptable
outdoor access, citing biosecurity and
animal health concerns.
Commenters stated that the draft
guidance was unenforceable and would
not ensure year-round outside access for
poultry. These commenters suggested a
minimum stocking rate of 1.75 square
feet per bird in henhouses that also
provide access to perches, with an
additional 5 square feet per bird
available in vegetated outdoor runs,
which should be accessible to all birds
at the same time. A number of
commenters, including poultry
producers, supported outdoor access on
soil, pasture or other vegetation, and
described health benefits and protection
of the environment that a pasture or
other vegetated outdoor access area
would afford.
One trade association, some organic
egg producers, and consultants
described the use of production systems
that limit outdoor access via the use of
enclosed porches so that poultry are not
in contact with soil or pasture. These
commenters described the benefits of
these systems: Protection from
predation, pathogens that cause food
safety problems, exposure to parasites,
8 USDA, Office of the Inspector General. March
2010. Audit Report 01601–03–Hy, Oversight of the
National Organic Program. Available at: https://
www.usda.gov/oig/rptsauditsams.htm.
9 On October 13, 2010, AMS also published a
Notice of Availability of Draft Guidance and
Request for Comments in the Federal Register (75
FR 62693).
10 The 2002 and 2009 NOSB recommendations
included daily outdoor access from an early age and
access to direct sunlight, open air and soil.
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and contact with wild birds that could
carry diseases. The commenters asserted
that these systems are consistent with
the 2002 NOSB recommendation. They
noted that organic egg producers have
made substantial investments in
facilities with porches. Some also
expressed concerns that placing birds
on soil would affect their ability to
comply with the Food and Drug
Administration’s salmonella prevention
food safety regulations (21 CFR part
118). Several producers expressed
concern with the 2009 NOSB
recommendation that pullets be given
outdoor access at 6 weeks of age,
because pullets are not fully immunized
(including for protection against
salmonella) until 16 weeks of age, and
should not be exposed to uncontrolled
environments until that time.
Given the comments and the request
for rulemaking, AMS determined to
pursue rulemaking to clarify outdoor
access for poultry and did not finalize
the draft guidance. Because the current
regulations permit a range of practices
for providing outdoor access for
livestock, AMS could not enforce a
narrower interpretation through
guidance or additional training for
certifying agents. Instructing certifiers to
compel compliance with requirements
that are more specific than the
regulations could only be resolved
through rulemaking.
D. Related Issues
Some organic poultry operations
provide outdoor access through porches.
These porch systems proliferated after a
2002 AMS administrative appeal
decision ordering the certification of an
operation that provided porches
exclusively for outdoor access. If
finalized, this rule would supersede the
2002 appeal decision.
On July 15, 2002, an operation
applied for organic certification of its
egg laying operation with a USDA
accredited certifying agent. As part of
the application, the operation’s Organic
System Plan (OSP) stated that outdoor
access would be provided through
covered and screened porches. The
certifying agent denied certification for
failure to provide hens with access to
the outdoors. The certifying agent stated
that a porch did not provide outdoor
access as required by the USDA organic
regulations. The operation appealed the
Denial of Certification to the AMS
Administrator on October 22, 2002. The
Administrator determined that poultry
porches could be allowed because the
regulations do not specify outdoor space
requirements. The appeal was sustained
on October 25, 2002, and the certifying
agent was directed to grant organic
certification to the operation
retroactively to October 21, 2002.
The certifying agent objected to the
Administrator’s decision and appealed
to the USDA Office of the
Administrative Law Judge (ALJ). On
November 4, 2003, the USDA ALJ
dismissed the appeal. On December 11,
2003, the certifying agent appealed to
the USDA Judicial Officer. On April 21,
2004, the USDA Judicial Officer
dismissed the appeal. On September 27,
2005, the certifying agent filed an
appeal with the U.S. District Court,
District of Massachusetts. On March 30,
2007, the U.S. District Court dismissed
the case for lack of standing
(Massachusetts Independent
Certification, Inc v. Johanns. 486
F.Supp.2d 105).
III. Overview of Proposed Amendments
A. Definitions in § 205.2
Current
wording
Type of action
Proposed action
........................
........................
........................
........................
Terms Defined.
N/A ..................
N/A ..................
N/A ..................
New term ........
New term ........
New term ........
205.2 ........................
205.2 ........................
N/A ..................
N/A ..................
New term ........
New term ........
205.2 ........................
205.2 ........................
N/A ..................
N/A ..................
New term ........
New term ........
205.2 ........................
N/A ..................
New term ........
205.2 ........................
N/A ..................
New term ........
205.2 ........................
N/A ..................
New term ........
205.2 ........................
N/A ..................
New Term .......
205.2 ........................
N/A ..................
New term ........
205.2 ........................
N/A ..................
New term ........
205.2 ........................
N/A ..................
New term ........
Beak trimming. The removal of the curved tip of the beak.
Caponization. Castration of chickens, turkeys, pheasants and other avian species.
Cattle wattling. The surgical separation of two layers of the skin from the connective
tissue along a 2 to 4 inch path on the dewlap, neck or shoulders used for ownership identification.
De-beaking. The removal of more than the beak tip.
De-snooding. The removal of the turkey snood (a fleshy protuberance on the forehead of male turkeys).
Dubbing. The removal of poultry combs and wattles.
Indoors. The flat space or platform area which is under a solid roof. On each level
the animals have access to food and water and can be confined if necessary. Indoor space for avian species includes, but is not limited to:
Pasture housing. A mobile structure for avian species with 70 percent perforated
flooring.
Aviary housing. A fixed structure for avian species which has multiple tiers/levels with
feed and water on each level.
Slatted/mesh floor housing. A fixed structure for avian species which has both: (1) A
slatted floor where perches, feed and water are provided over a pit or belt for manure collection; and (2) litter covering the remaining solid floor.
Floor litter housing. A fixed structure for avian species which has absorbent litter covering the entire floor.
Mulesing. The removal of skin from the buttocks of sheep, approximately 2 to 4
inches wide and running away from the anus to the hock to prevent fly strike.
Outdoors. Any area in the open air with at least 50 percent soil, outside a building or
shelter where there are no solid walls or solid roof attached to the indoor living
space structure. Fencing or netting that does not block sunlight or rain may be
used as necessary.
Perch. A rod or branch type structure that serves as a roost and allows birds to utilize vertical space in the house.
Pullet. A female chicken or other avian species being raised for egg production that
has not yet started to lay eggs.
Roost. A flat structure over a manure pit that allows birds to grip with their toes as
they would on a perch.
Soil. The outermost layer of the earth comprised of minerals, water, air, organic matter, fungi and bacteria in which plants may grow roots.
Stocking density. The weight of animals on a given unit of land at any one time.
Section title
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205.2
205.2
205.2
205.2
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Current
wording
Type of action
Proposed action
205.2 ........................
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N/A ..................
New term ........
Toe clipping. The removal of the nail and distal joint of the back two toes of a male
bird.
AMS is proposing to add fifteen new
terms to § 205.2: Beak trimming,
caponization, cattle wattling, debeaking, de-snooding, dubbing, indoors,
mulesing, outdoors, perch, pullet, roost,
soil, stocking density and toe clipping.
AMS is proposing to prohibit several
physical alterations on organic
livestock. AMS is proposing to define
eight terms, below, related to these
physical alterations so that certifying
agents and producers may ensure that
they do not inadvertently perform a
prohibited physical alteration which
may be known by a different name
locally.
Beak trimming would be defined as
the removal of the curved tip of the
beak.
Caponization would be defined as
the castration of chickens, turkeys,
pheasants and other avian species.
Cattle wattling would be defined as
the surgical separation of two layers of
the skin from the connective tissue
along a 2 to 4 inch path on the dewlap,
neck, or shoulders used for ownership
identification.
De-beaking would be defined as the
removal of more than the beak tip.
De-snooding would be defined as the
removal of the turkey snood (a fleshy
protuberance on the forehead of male
turkeys).
Dubbing would be defined as the
removal of poultry combs and wattles.
Mulesing would be defined as the
removal of skin from the buttocks of
sheep, approximately 2 to 4 inches wide
and running away from the anus to the
hock to prevent fly strike.
Toe clipping would be defined as the
removal of the nail and distal joint of
the back two toes of a male bird.
AMS is proposing to define
‘‘outdoors’’ to add more specificity to
the existing requirement in the livestock
living conditions section (7 CFR
205.239(a)(1)) that livestock have access
to the outdoors. ‘‘Outdoors’’ would be
defined as any area in the open air with
at least 50 percent soil, outside a
building or shelter where there are no
solid walls or solid roof attached to the
indoor living space structure. Fencing or
netting that does not block sunlight or
rain may be used as necessary.
Consistent with the NOSB
recommendation, this definition would
exclude porches and other structures
attached to the indoor living space as
outdoor areas. For biosafety and animal
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welfare purposes, fencing or overhead
netting that does not block sunlight or
rain would be permitted to prevent
predators and other wild birds from
entering the outdoor area.
Structures for shade are permitted in
the outdoor space. The area within a
standalone, roofed, shade structure
could be included as outdoor space
area, provided it is not attached to the
indoor space structure. Roofed areas
attached to the building are not
considered outdoor areas. This is
consistent with the 2011 NOSB
recommendation that stated that
covered porches should not be
considered outdoor access. This is also
consistent with FDA’s draft guidance on
outdoor access under the FDA
Prevention of Salmonella Enteritidis in
Shell Eggs regulations 11 which states
that covered porches are part of the
poultry house. Many producers use
portable or permanent shade structures
throughout their pastures. The area
under these shade structures, as long as
it is not attached to the structure used
for indoor access, could be an allowed
area under the outdoor access space
requirement. The area under the eaves
or under structures attached to the
indoor space structure is not to be
calculated as outdoor space area to
ensure that porches and similar
structures are not construed as outdoor
space.
The proposed definition of
‘‘outdoors’’ would specify that outdoor
areas for all livestock have access to the
soil. This supports natural behaviors
across species. For example, soil-based
outdoor access will encourage rooting
and wallowing among swine and dust
bathing and foraging among poultry.
AMS is proposing to define ‘‘soil’’ as
the outermost layer of the earth
comprised of minerals, water, air,
organic matter, fungi, and bacteria, in
which plants may grow roots. Livestock
producers must include contact with
soil when providing outdoor access to
livestock in a manner that maintains
and improves natural resources.
11 Draft Guidance for Industry: Questions and
Answers Regarding the Final Rule, Prevention of
Salmonella Enteritidis in Shell Eggs During
Production, Storage, and Transportation (Layers
with Outdoor Access) https://www.fda.gov/food/
guidanceregulation/
guidancedocumentsregulatoryinformation/eggs/
ucm360028.htm.
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AMS is proposing to define ‘‘stocking
density’’ as the maximum weight of
animals on a given unit of land at any
one time. Specifically, the minimum
outdoor space requirements for poultry
are based on stocking density as
measured by the maximum pounds of
bird on a square foot of land at a given
time. AMS also considered basing the
stocking density requirements on the
minimum area per bird (i.e., square feet
per animal). AMS proposes to measure
stocking density using weight to
compensate for different-sized avian
species (chickens, turkeys) and varieties
(e.g., different breeds of layers).
Stocking density would be calculated on
the given size of the outdoor land to
which the birds are provided access. As
an example, if one acre of land is
divided into two half acre parcels and
the birds are rotated between the two
parcels, then the stocking density would
be calculated using the one-half acre to
which the birds have access.
AMS is proposing to define ‘‘indoors’’
as the flat space or platform area under
a solid roof where the animals have
access to both food and water and can
be confined if necessary. Indoor space
would be calculated by adding the
square footage of the following roofed
areas: (1) Ground level, which may have
perches embedded or placed on the
ground; (2) multi-level platforms, which
provide water and feed on each
elevation from which the birds can
freely access the outdoors; (3) porches,
which are accessible to the birds at all
times. Space in porches may not be
included in the calculation for indoor
space if the doors are closed due to
inclement weather or threat of diseases.
AMS is further clarifying the indoor
living space requirements by defining
several elements that will need to be
included in that area. This proposal
would define a ‘‘perch’’ as a rod- or
branch-type structure that serves as a
roost and allows birds to utilize vertical
space in the house. This proposal would
define a ‘‘roost’’ as a flat structure over
a manure pit that allows birds to grip
with their toes as they would on a
perch.
AMS is proposing to define ‘‘pullet’’
as a female chicken or other avian
species being raised for egg production
that has not yet started to lay eggs.
While pullet is sometimes used to
describe young broilers which are used
for meat production, AMS is using the
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term pullet to describe females of avian
species which are being raised to
produce eggs in the future but have not
yet reached sexual maturity and have
not begun producing eggs. Once avian
females begin laying eggs, AMS refers to
them as layers. AMS modified the
definition of pullet, which is used by
the AMS Livestock, Poultry and Seed
Program, to include species other than
chickens.
B. Livestock Health Care Practice
Standard
Section title
Current wording
205.238 ..........................................
205.238(a) .....................................
Livestock Health Care Practice Standard
(a) The producer must establish and
maintain preventive livestock health
care practices, including:
(1) Selection of species and types of
livestock with regard to suitability for
site-specific conditions and resistance
to prevalent diseases and parasites;
(2) Provision of a feed ration sufficient to
meet nutritional requirements, including vitamins, minerals, protein and/or
amino acids, fatty acids, energy
sources, and fiber (ruminants);
No Change.
No change.
(3) Establishment of appropriate housing,
pasture conditions, and sanitation
practices to minimize the occurrence
and spread of diseases and parasites;
(4) Provision of conditions which allow
for exercise, freedom of movement,
and reduction of stress appropriate to
the species;
(5) Performance of physical alterations
as needed to promote the animal’s
welfare and in a manner that minimizes pain and stress; and
No change.
205.238(a)(5)(i) ..............................
..................................................................
New .........................
205.238(a)(5)(ii) .............................
..................................................................
New .........................
205.238(a)(6) .................................
No change.
205.238(a)(7) .................................
(6) Administration of vaccines and other
veterinary biologics.
..................................................................
205.238(a)(8) .................................
..................................................................
New .........................
205.238(a)(1) .................................
205.238(a)(2) .................................
205.238(a)(3) .................................
205.238(a)(4) .................................
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Proposed wording
No change.
Revision ..................
(2) Provision of a feed ration sufficient to
meet nutritional requirements, including vitamins, minerals, protein and/or
amino acids, fatty acids, energy
sources, and fiber (ruminants), resulting in appropriate body condition.
No change.
Revision ..................
New .........................
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(5) Physical alterations may be performed to benefit the welfare or hygiene of the animals, or for identification purposes or safety. Physical alterations must be performed on livestock
at a reasonably young age, with minimal stress and pain and by a competent person.
(i) The following practices may not be
routinely used and must be used only
with documentation that alternatives
methods to prevent harm failed: needle teeth trimming (no more than top
1/3rd of the tooth) in pigs and tail
docking in pigs.
(ii) The following practices must not be
performed on a certified operation: debeaking, de-snooding, caponization,
dubbing, toe trimming of chickens, toe
trimming of turkeys unless with infrared at hatchery, beak trimming after 10
days of age, tail docking of cattle, wattling of cattle, face branding of cattle,
tail docking of sheep shorter than the
distal end of the caudal fold, and
mulesing of sheep.
(7) All surgical procedures necessary to
treat an illness shall be undertaken in
a manner that employs best management practices in order to minimize
pain, stress, and suffering, with the
use of appropriate and allowed anesthetics, analgesics, and sedatives.
(8) Monitoring of lameness and keeping
records of the percent of the herd or
flock suffering from lameness and the
causes.
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Section title
Current wording
Proposed action
Proposed wording
205.238(a)(9) .................................
..................................................................
New .........................
(9) Ammonia levels in poultry houses
must be less than 25 parts per million
indoors. When ammonia levels in poultry houses exceed 10 parts per million,
an operation must implement additional practices to reduce the ammonia
levels below 10 parts per million.
205.238(b) .....................................
(b) When preventive practices and veterinary biologics are inadequate to prevent sickness, a producer may administer synthetic medications: Provided,
that, such medications are allowed
under § 205.603. Parasiticides allowed
under § 205.603 may be used on:
(1) Breeder stock, when used prior to the
last third of gestation but not during
lactation for progeny that are to be
sold, labeled, or represented as organically produced; and
(2) Dairy stock, when used a minimum of
90 days prior to the production of milk
or milk products that are to be sold, labeled, or represented as organic
..................................................................
No change.
(c) The producer of an organic livestock
operation must not:
(1) Sell, label, or represent as organic
any animal or edible product derived
from any animal treated with antibiotics, any substance that contains a
synthetic substance not allowed under
§ 205.603, or any substance that contains a nonsynthetic substance prohibited in § 205.604.
No change.
205.238(c)(2) .................................
(2) Administer any animal drug, other
than vaccinations, in the absence of illness;
Revision ..................
205.238(c)(3) .................................
(3) Administer hormones for growth promotion;
(4) Administer synthetic parasiticides on
a routine basis;
(5) Administer synthetic parasiticides to
slaughter stock;
(6) Administer animal drugs in violation
of the Federal Food, Drug, and Cosmetic Act; or
(7) Withhold medical treatment from a
sick animal in an effort to preserve its
organic status. All appropriate medications must be used to restore an animal to health when methods acceptable to organic production fail. Livestock treated with a prohibited substance must be clearly identified and
shall not be sold, labeled, or represented as organically produced.
Revision ..................
205.238(b)(1) .................................
205.238(b)(2) .................................
205.238(b)(3) .................................
205.238(c) .....................................
205.238(c)(1) .................................
205.238(c)(4) .................................
205.238(c)(5) .................................
205.238(c)(6) .................................
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No change.
New .........................
Revision ..................
(3) Synthetic medications may be administered in the presence of illness or to
alleviate pain and suffering: Provided,
that such medications are allowed
under § 205.603.
(1) Sell, label, or represent as organic
any animal or edible product derived
from any animal treated with antibiotics, any substance that contains a
synthetic substance not allowed under
§ 205.603, or any substance that contains a nonsynthetic substance prohibited in § 205.604. Milk from animals
undergoing treatment with synthetic
substances allowed under § 205.603
having withholding time, cannot be
sold as organic but may be fed to their
own offspring. Milk from animals undergoing treatment with prohibited substances cannot be sold as organic or
fed to organic livestock.
(2) Administer any animal drug in the absence of illness or to alleviate pain or
suffering, with the exception of vaccinations and other veterinary biologics.
(3) Administer hormones for growth promotion, production or reproduction.
No change.
No change.
No change.
No change.
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Proposed action
Proposed wording
205.238(c)(8) .................................
..................................................................
New .........................
205.238(c)(9) .................................
..................................................................
New .........................
205.238(c)(10) ...............................
..................................................................
New .........................
205.238(d) .....................................
..................................................................
New .........................
205.238(e) .....................................
205.238(e)(1) .................................
..................................................................
..................................................................
New .........................
New .........................
205.238(e)(2) .................................
..................................................................
New .........................
205.238(e)(3) .................................
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..................................................................
New .........................
(8) Withhold individual treatment designed to minimize pain and suffering
for injured, diseased, or sick animals,
which may include forms of euthanasia
as recommended by the American
Veterinary Medical Association.
(9) Neglect to identify and record treatment of sick and injured animals in
animal health records.
(10) Practice forced molting or withdrawal of feed to induce molting.
(d) Organic livestock operations must
have comprehensive plans to minimize
internal parasite problems in livestock.
The plan will include preventive measures such as pasture management,
fecal monitoring, and emergency
measures in the event of a parasite
outbreak. Parasite control plans shall
be approved by the certifying agent.
(e) Euthanasia.
(1) Organic livestock producers must
have written plans for prompt, humane
euthanasia for sick or injured livestock.
(2) The following methods of euthanasia
are not permitted: suffocation; blow to
the head by blunt instrument; and the
use of equipment that crushes the
neck, including killing pliers or burdizzo
clamps.
(3) Following a euthanasia procedure,
livestock must be carefully examined
to ensure that they are dead.
AMS is proposing to amend current
provisions in and add new provisions to
the health care practice standards. The
proposed amendment to § 205.238(a)(2)
would specify that the sufficiency of the
feed ration would be demonstrated by
appropriate body condition of the
livestock. Livestock producers would
need to monitor their animals to ensure
body condition is being maintained. In
addition, certifying agents would need
to verify the nutritional adequacy of the
animals’ diet by assessing the body
condition of organic livestock during
inspection. Suitable body condition
varies between species, between breeds,
and between production types. A
suitable condition for dairy cattle may
be considered too thin in beef cattle.
Producers who routinely monitor body
condition of their livestock will be more
likely to discover a health or feed issue
early, before the animal suffers. AMS
plans to provide further information
about body condition assessment
through published guidance to assist
certifiers, inspectors, and producers
assess body condition in different
species.
AMS proposes to revise
§ 205.238(a)(5) to clarify the conditions
under which physical alterations may
be performed on livestock. Physical
alterations may be performed for only
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certain reasons, including an animal’s
welfare, hygiene, identification, or
safety. Alterations must be done at a
reasonably young age with minimal
pain or stress to the animal, and only by
a person who is competent to perform
the procedure. Competency may be
demonstrated by training or experience
of the person performing the alterations
or may be demonstrated by the training
or experience of the person training the
person performing the alterations.
AMS is proposing to add a new
§ 205.238(a)(5)(i) to list the physical
alterations that are not allowed on a
routine basis, but may be performed on
an as-needed basis. Needle teeth
trimming and tail docking in pigs may
only be performed in response to
documented animal welfare reasons
when alternative steps to prevent harm
fail. Teeth clipping, if performed, would
be limited to the top third of the each
needle tooth. For example, an organic
swine producer who clipped needle
teeth or performed tail docking would
need to document excessive needle
teeth scarring on the underline of the
sow or piglets or document tail biting on
piglets in the litter. Swine producers
would also need to document that
alternative methods failed. Such
alternative methods may include, but
are not limited to, cross-fostering prior
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to teat fidelity across litters to minimize
weight variation, providing sufficient
enrichment materials, and providing
vegetation for rooting.
In the 2009 recommendation, the
NOSB recommended that needle teeth
clipping and piglet tail docking be
allowed, but retracted that in its 2011
recommendation. In consideration of
NOSB preferences and producer needs,
AMS is proposing to restrict the use of
these procedures to situations when
alternative methods of preventing injury
fail and the producer documents the
harm to animals prior to performing
either physical alteration.
AMS is proposing to add a new
§ 205.238(a)(5)(ii) to list the physical
alterations that are prohibited in an
organic operation. The following
physical alterations would be prohibited
under this proposal: De-beaking, desnooding, caponization, dubbing, toe
trimming of chickens, toe trimming of
turkeys unless with infra-red at
hatchery, beak trimming after 10 days of
age, tail docking of cattle, wattling of
cattle, face branding of cattle, tail
docking of sheep shorter than the distal
end of the caudal fold, and mulesing of
sheep.
AMS is proposing to add a new
§ 205.238(a)(7) which would specify
that surgical procedures on livestock to
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treat an illness must be done in a
manner which minimizes pain, stress,
and suffering. The NOSB recommended
that all surgical procedures for livestock
be done with the use of anesthetics,
analgesics, and sedatives. AMS is
proposing that all surgical procedures
for treatment of disease shall be
undertaken in a manner that employs
best management practices in order to
minimize pain, stress, and suffering,
and only with the use of anesthetics,
analgesics, and sedatives listed in
§ 205.603.
AMS is proposing to add a new
§ 205.238(a)(8) to require organic
producers to actively monitor lameness
within the herd or flock and to
document the cases of lameness.
Lameness can be an issue in various
livestock species including broilers,
sheep, and dairy cattle. The requirement
for producers to create a plan for
monitoring and recording instances of
lameness in the Organic System Plan
will enable organic livestock producers
to identify and address a problem before
it becomes widespread among the
animals. In addition, the records will
provide an auditable trail for certifying
agents to verify that livestock producers
are monitoring this potential cause of
animal suffering.
AMS is proposing to add a new
§ 205.238(b)(3) to state that synthetic
medications may be administered in the
presence of an illness to reduce pain
and suffering, as long as those
medications are allowed under
§ 205.603. OFPA limits the use of
synthetic medications in the absence of
illness. AMS is proposing to follow the
NOSB recommendation to allow the use
of synthetic substances to alleviate pain
and suffering for animals if the
substances appear on the National List.
AMS is proposing to take a broad view
of illness to encompass not just
instances of disease or injury, but also
cases of inflammation due to physical
alterations. By providing pain relief
prior to performing a physical
alteration, animal welfare is improved.
In addition, by providing pain relief, the
animal undergoing the physical
alteration is less likely to make a sudden
movement. Such movements can cause
infection or a more severe injury. Again,
the use of pain relief prior to the
physical alteration can reduce serious
complications. Physical alterations such
as dehorning result in trauma to the
target tissue. This trauma causes
localized bleeding and inflammation,
resulting in an illness state.
AMS is proposing to amend
§ 205.238(c)(1) to clarify that milk from
an animal treated with an allowed
substance in § 205.603, which has a
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withholding time, may not be sold,
labeled, or represented as organic
during that holding time. However, milk
from an organic animal or breeder stock
may continue to provide milk for its
own offspring during the withholding
time. As an example, if an organic beef
cow was nursing her organic offspring,
was injured and then stitched by a
veterinarian using lidocaine to
minimize pain and stress, her calf could
continue to nurse the dam even during
the 7-day withholding period for
lidocaine (§ 205.603(b)(4)), without loss
of the calf’s organic status. This means
that the calf would still be eligible to be
organic slaughter stock. This is
consistent with the April 2010 NOSB
recommendation that a calf nursing a
dam treated topically with lidocaine, or
other approved synthetic with a
withdrawal time would not lose organic
status.
AMS is proposing to revise
§ 205.238(c)(2) to clarify that other
veterinary biologics, in addition to
vaccines, are exempt from the
prohibition on administering animal
drugs in the absence of illness. The
Center for Veterinary Biologics (CVB)
regulates vaccines and all other
veterinary biologics. While vaccines are
commonly used to describe many of
these products, CVB has additional
categories such as bacterins and toxoids.
In addition, this change reflects the
definition for biologicals in § 205.2. This
supports § 205.238(a)(6), which
identifies the use of vaccines and other
veterinary biologics as a required
practice to improve animal health. This
section again asserts that pain relief may
be administered in the absence of illness
prior to physical alterations.
AMS is proposing to amend
§ 205.238(c)(3) to clarify that organic
livestock producers are prohibited from
administering synthetic or nonsynthetic
hormones to promote growth or for
production and reproductive purposes.
Hormones listed in § 205.603 (e.g.,
oxytocin) may continue to be used to
treat illnesses. Stakeholders have noted
that the USDA organic regulations are
silent on the use of hormones to
stimulate production or for reproductive
purposes. This addition would clarify
that all hormones, unless used to treat
an illness, are prohibited in organic
production.
AMS is proposing to add a new
provision in § 205.238(c)(8) to prohibit
organic livestock producers from
withholding treatment designed to
minimize pain and suffering for injured,
diseased, or sick animals. Injured,
diseased, or sick animals may be treated
with any allowed natural substance or
synthetic medication which appears on
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21965
the National List. However, if no
appropriate medication is allowed for
organic production, organic livestock
producers would be required to
administer treatments, even if the
animals would lose their organic status.
Furthermore, euthanasia could be an
acceptable practice for minimizing pain
and suffering.
AMS is proposing to add new
§ 205.238(c)(9) to require livestock
producers to identify and record
treatment of sick and injured animals in
animal health records. These records
can enable producers and certifying
agents to quickly identify a particular
disease or ailment in an animal. Early
identification can lead to more effective
prevention or treatment, which will
enhance the overall health of the
livestock on that farm.
AMS is proposing to add a new
provision in § 205.238(c)(10) to
explicitly prohibit the practice of forced
molting or withdrawal of feed to induce
molting in poultry. Forced molting, in
which feed is severely restricted for a
period of time in order to rejuvenate egg
production, is prohibited under
§ 205.238(a)(2), which requires a
nutritionally sufficient feed ration.
However, forced molting was never
explicitly prohibited under the USDA
organic regulations. This change is
consistent with the NOSB
recommendation and a number of other
third-party animal welfare certification
programs.
AMS is proposing to add a new
§ 205.238(e) to address euthanasia. In
certain cases, livestock may be suffering
from an illness from which recovery is
unlikely. For these situations, organic
livestock producers must maintain
written plans for euthanizing sick or
injured livestock (§ 205.238(e)(1)). In
new a § 205.238(e)(2), AMS is proposing
to prohibit certain methods of
euthanasia, including: Suffocation,
blow(s) to the head by blunt instrument,
and use of equipment that crushes the
neck, (e.g., killing pliers or burdizo
clamps). In the event of an emergency
situation where a local, state or federal
government agency requires the use of
non-organically approved method of
euthanasia, organic livestock operations
will not lose organic certification or face
other penalties for the use of nonorganically approved methods of
euthanasia.
AMS is further proposing, in
§ 205.238(e)(3), that after the euthanasia
procedure, producers must carefully
examine the body to ensure death. The
NOSB recommended listing the
allowable methods of euthanasia.
However, given that new humane
euthanasia methods may emerge, AMS
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would not intend to discourage
producer adoption of these techniques.
Therefore, AMS is proposing to allow
organic livestock producers to use any
205.239 ..................
205.239(a) ..............
method of euthanasia, except for those
prohibited in § 205.238(e)(2). The list of
prohibited methods could be amended
to include other techniques, if needed,
through future rulemaking.
C. Mammalian Living Conditions
Livestock Living Conditions ..................................
(a) The producer of an organic livestock operation must establish and maintain year-round
livestock living conditions which accommodate
the health and natural behavior of animals, including:
(1) Year-round access for all animals to the outdoors, shade, shelter, exercise areas, fresh
air, clean water for drinking, and direct sunlight, suitable to the species, its stage of life,
the climate, and the environment: Except, that,
animals may be temporarily denied access to
the outdoors in accordance with §§ 205.239(b)
and (c). Yards, feeding pads, and feedlots
may be used to provide ruminants with access
to the outdoors during the non-grazing season
and supplemental feeding during the grazing
season. Yards, feeding pads, and feedlots
shall be large enough to allow all ruminant
livestock occupying the yard, feeding pad, or
feedlot to feed simultaneously without crowding and without competition for food. Continuous total confinement of any animal indoors
is prohibited. Continuous total confinement of
ruminants in yards, feeding pads, and feedlots
is prohibited.
Revision ................
No change.
Mammalian Livestock Living Conditions.
Revision ................
(1) Year-round access for all animals to the outdoors, soil, shade, shelter, exercise areas,
fresh air, clean water for drinking, and direct
sunlight, suitable to the species, its stage of
life, the climate, and the environment: Except,
that, animals may be temporarily denied access to the outdoors in accordance with
§§ 205.239(b) and (c). Yards, feeding pads,
and feedlots may be used to provide
ruminants with access to the outdoors during
the non-grazing season and supplemental
feeding during the grazing season. Yards,
feeding pads, and feedlots shall be large
enough to allow all ruminant livestock occupying the yard, feeding pad, or feedlot to feed
without competition for food in a manner that
maintains all animals in a good body condition.
Continuous total confinement of any animal indoors is prohibited. Continuous total confinement of ruminants in yards, feeding pads, and
feedlots is prohibited.
(2) For all ruminants, management on pasture
and daily grazing throughout the grazing season(s) to meet the requirements of § 205.237,
except as provided for in paragraphs (b), (c),
and (d) of this section.
(3) Appropriate clean, dry bedding. When roughages are used as bedding, they shall have
been organically produced in accordance with
this part by an operation certified under this
part, except as provided in § 205.236(a)(2)(i),
and, if applicable, organically handled by operations certified to the NOP.
No change.
205.239(a)(4) .........
205.239(a)(4)(i) ......
(4) Shelter designed to allow for:
(i) Natural maintenance, comfort behaviors, and
opportunity to exercise;
No change.
Revision ................
205.239(a)(4)(ii) .....
(ii) Temperature level, ventilation, and air circulation suitable to the species;
(iii) Reduction of potential for livestock injury ......
...............................................................................
No change.
205.239(a)(1) .........
205.239(a)(2) .........
205.239(a)(3) .........
205.239(a)(4)(iii) ....
205.239(a)(4)(iv) ....
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS
205.239(a)(5) .........
Revision ................
No change.
New .......................
205.239(a)(6) .........
The use of yards, feeding pads, feedlots and
laneways that shall be well-drained, kept in
good condition (including frequent removal of
wastes), and managed to prevent runoff of
wastes and contaminated waters to adjoining
or nearby surface water and across property
boundaries.
...............................................................................
New .......................
205.239(a)(7) .........
...............................................................................
New .......................
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(3) Animals must be kept clean during all stages
of life with the use of appropriate, clean, dry
bedding, as appropriate for the species. When
roughages are used as bedding, they must be
organically produced and handled in accordance with this part by an operation certified
under this part, except as provided in
§ 205.236(a)(2)(i), and, if applicable, organically handled by operations certified to the
NOP.
(i) Sufficient space and freedom to lie down in
full lateral recumbence, turn around, stand up,
fully stretch their limbs without touching other
animals or the sides of the enclosure, and express normal patterns of behavior;
(iv) Areas for bedding and resting that are sufficiently large, solidly built, and comfortable so
that animals are kept clean, dry, and free of
lesions.
No change.
Sfmt 4702
(6) Housing, pens, runs, equipment, and utensils
shall be properly cleaned and disinfected as
needed to prevent cross infection and build-up
of disease-carrying organisms.
(7) Dairy young stock may be housed in individual pens under the following conditions:
E:\FR\FM\13APP2.SGM
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205.239(a)(7)(i) ......
...............................................................................
New .......................
205.239(a)(7)(ii) .....
...............................................................................
New .......................
205.239(a)(7)(iii) ....
...............................................................................
New .......................
205.239(a)(8) .........
205.239(a)(8)(i) ......
...............................................................................
...............................................................................
New .......................
New .......................
205.239(a)(8)(ii) .....
205.239(a)(8)(iii) ....
...............................................................................
...............................................................................
New .......................
New .......................
205.239(a)(9) .........
...............................................................................
New .......................
205.239(a)(10) .......
...............................................................................
New .......................
205.239(a)(11) .......
...............................................................................
New .......................
205.239(a)(12) .......
...............................................................................
New .......................
205.239(b) ..............
(b) The producer of an organic livestock operation may provide temporary confinement or
shelter for an animal because of:
(1) Inclement weather;
(2) The animal’s stage of life: Except, that lactation is not a stage of life that would exempt
ruminants from any of the mandates set forth
in this regulation.
(3) Conditions under which the health, safety, or
well-being of the animal could be jeopardized
(4) Risk to soil or water quality;
(5) Preventive healthcare procedures or for the
treatment of illness or injury (neither the various life stages nor lactation is an illness or injury);
(6) Sorting or shipping animals and livestock
sales: Provided, that, the animals shall be
maintained under continuous organic management, including organic feed, throughout the
extent of their allowed confinement;
(7) Breeding: Except, that, bred animals shall not
be denied access to the outdoors and, once
bred, ruminants shall not be denied access to
pasture during the grazing season;
(8) 4–H, Future Farmers of America and other
youth projects, for no more than one week
prior to a fair or other demonstration, through
the event and up to 24 hours after the animals
have arrived home at the conclusion of the
event. These animals must have been maintained under continuous organic management,
including organic feed, during the extent of
their allowed confinement for the event.
No change.
205.239(b)(1) .........
205.239(b)(2) .........
205.239(b)(3) .........
205.239(b)(4) .........
205.239(b)(5) .........
205.239(b)(6) .........
205.239(b)(7) .........
205.239(b)(8) .........
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21967
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(i) Until weaning, providing that they have
enough room to turn around, lie down, stretch
out when lying down, get up, rest, and groom
themselves; individual animal pens shall be
designed and located so that each animal can
see, smell, and hear other calves.
(ii) Dairy young stock shall be group-housed
after weaning.
(iii) Dairy young stock over six months of age
shall have access to the outdoors at all times,
including access to pasture during the grazing
season, except as allowed under 205.239(c).
(8) Swine must be housed in a group, except:
(i) Sows may be housed individually at farrowing
and during the suckling period;
(ii) Boars.
(iii) Swine with documented instances of aggression or recovery from an illness.
(10) Piglets shall not be kept on flat decks or in
piglet cages.
(11) Exercise areas for swine, whether indoors
or outdoors, must permit rooting, including during temporary confinement events.
(12) In confined housing with stalls, at least one
stall must be provided for each animal in the
facility at any given time. A cage must not be
called a stall. For group-housed swine, the
number of individual feeding stalls may be less
than the number of animals, as long as all animals are fed routinely over a 24-hour period.
(13) At least 50 percent of outdoor access space
must be soil, except for temporary conditions
which would threaten the soil or water quality
when outdoor access must be provided without contact to the soil.
No change.
No change.
No change.
No change.
No change.
No change.
Revision ................
Revision ................
Sfmt 4702
(7) Breeding: Except, that, animals shall not be
confined any longer than necessary to perform
the natural or artificial insemination. Animals
may not be confined to observe estrus; and
(8) 4–H, National FFA Organization, and other
youth projects, for no more than one week
prior to a fair or other demonstration, through
the event, and up to 24 hours after the animals have arrived home at the conclusion of
the event. These animals must have been
maintained under continuous organic management, including organic feed, during the extent
of their allowed confinement for the event.
Notwithstanding the requirements in § 205.239
(b)(6), facilities where 4–H, National FFA Organization, and other youth events are held
are not required to be certified organic for the
participating animals to be sold as organic,
provided all other organic management practices are followed.
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Federal Register / Vol. 81, No. 71 / Wednesday, April 13, 2016 / Proposed Rules
205.239(c) ..............
205.239(c)(1) .........
205.239(c)(2) .........
205.239(c)(3) .........
205.239(c)(4) .........
205.239(d) ..............
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS
205.239(e) ..............
(c) The producer of an organic livestock operation may, in addition to the times permitted
under § 205.239(b), temporarily deny a ruminant animal pasture or outdoor access under
the following conditions:
(1) One week at the end of a lactation for dry off
(for denial of access to pasture only), three
weeks prior to parturition (birthing), parturition,
and up to one week after parturition;
(2) In the case of newborn dairy cattle for up to
six months, after which they must be on pasture during the grazing season and may no
longer be individually housed: Provided, That,
an animal shall not be confined or tethered in
a way that prevents the animal from lying
down, standing up, fully extending its limbs,
and moving about freely;
(3) In the case of fiber bearing animals, for short
periods for shearing; and
(4) In the case of dairy animals, for short periods
daily for milking. Milking must be scheduled in
a manner to ensure sufficient grazing time to
provide each animal with an average of at
least 30 percent DMI from grazing throughout
the grazing season. Milking frequencies or duration practices cannot be used to deny dairy
animals pasture.
(d) Ruminant slaughter stock, typically grain finished, shall be maintained on pasture for each
day that the finishing period corresponds with
the grazing season for the geographical location: Except, that, yards, feeding pads, or
feedlots may be used to provide finish feeding
rations. During the finishing period, ruminant
slaughter stock shall be exempt from the minimum 30 percent DMI requirement from grazing. Yards, feeding pads, or feedlots used to
provide finish feeding rations shall be large
enough to allow all ruminant slaughter stock
occupying the yard, feeding pad, or feed lot to
feed simultaneously without crowding and
without competition for food. The finishing period shall not exceed one-fifth (1⁄5) of the animal’s total life or 120 days, whichever is shorter.
(e) The producer of an organic livestock operation must manage manure in a manner that
does not contribute to contamination of crops,
soil, or water by plant nutrients, heavy metals,
or pathogenic organisms and optimizes recycling of nutrients and must manage pastures
and other outdoor access areas in a manner
that does not put soil or water quality at risk.
AMS is proposing to separate
mammalian living conditions from
avian living conditions, due to the
different physiology and husbandry
practices for birds and mammals. Under
this proposal, AMS would revise the
title of § 205.239 from ‘‘Livestock living
conditions’’ to ‘‘Mammalian Livestock
Living Conditions’’. Avian living
conditions would be addressed in new
§ 205.241. By creating clear
requirements for mammalian livestock
and avian livestock, animal health and
wellbeing can be enhanced and
consumers can be assured of the
integrity of the USDA organic seal.
AMS is proposing to revise
§ 205.239(a)(1) to require that food is
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No change.
No change.
No change.
No change.
No change.
Revision ................
No change.
provided in a manner that maintains all
animals in good body condition while
removing the requirement that all
ruminant livestock must be able to feed
simultaneously. This would support
animal welfare by ensuring that feed
rations are available to all animals so
that they maintain good body condition.
One method of feeding livestock,
including ruminants, is the use of a selffeeder or a creep-feeder. With creepfeeding and self-feeding, feed is
accessible to all animals at all times
though they may not feed at the exact
same time. Self-feeding and creepfeeding provides organic ruminant
producers with more flexibility and
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Fmt 4701
(d) Ruminant slaughter stock, typically grain finished, shall be maintained on pasture for each
day that the finishing period corresponds with
the grazing season for the geographical location: Except, that, yards, feeding pads, or
feedlots may be used to provide finish feeding
rations. During the finishing period, ruminant
slaughter stock shall be exempt from the minimum 30 percent DMI requirement from grazing. Yards, feeding pads, or feedlots used to
provide finish feeding rations shall be large
enough to allow all ruminant slaughter stock
occupying the yard, feeding pad, or feedlot to
feed without competition for food. The finishing
period shall not exceed one-fifth (1⁄5) of the
animal’s total life or 120 days, whichever is
shorter.
Sfmt 4702
options to manage their farm and
livestock in farm-specific methods.
AMS is proposing to revise
§ 205.239(a)(3) to clarify that livestock
producers must keep animals clean
during all stages of life with the use of
appropriate, clean, dry bedding.
Ensuring animals are clean is a disease
prevention practice. Clean animals are
less likely to develop lesions, transmit
diseases, or become cold due to matted
hair coats. The requirement for clean
animals is relative to the species. Swine
would be allowed to exhibit natural
behavior and wallow in mud, and
ruminants grazing on lush spring grass
would be expected to have some
E:\FR\FM\13APP2.SGM
13APP2
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Federal Register / Vol. 81, No. 71 / Wednesday, April 13, 2016 / Proposed Rules
manure on their hind quarters due to
the natural behavior of grazing.
AMS is proposing to revise
§ 205.239(a)(4)(i) to specify that shelter
must be designed to accommodate
natural behaviors. Shelter must have
sufficient space for the animals to lie
down, stand up, and fully stretch their
limbs without touching other animals or
the sides of the shelter. Shelter must be
designed to allow livestock to express
their normal patterns of behavior.
AMS is proposing to add
§ 205.239(a)(4)(iv) to require a sheltered
area for bedding and resting, which is
sufficiently large and comfortable to
keep the animals clean, dry, and free of
lesions. This supports the proposed
revision in § 205.239(a)(3), which would
require producers to keep livestock
clean. Not all shelters would need to be
designed to hold bedding. As an
example, a shelter designed to provide
shade may be portable, and thus
incompatible with holding bedding.
AMS is proposing to add new
requirements in § 205.239(a)(7)
concerning the individual housing of
dairy young stock. Section
205.239(a)(7)(i) would allow for the
individual housing of animals until
weaning, as long as the animals had
sufficient room to turn around, lie
down, stretch out while lying down, get
up, rest, and groom themselves. In
addition, the individual housing of
young stock would need to be designed
so that animals could see, smell, and
hear other animals. Furthermore, new
§ 205.239(a)(7)(ii) would require that
dairy young stock are group-housed
after weaning, and new
§ 205.239(a)(7)(iii) would require that
animals over six months of age must
have access to the outdoors at all times,
including access to pasture during the
grazing season, except as allowed under
§ 205.239 (b) and (c). Weaning is the
time at which the young are taken off of
milk or milk replacers.
AMS is proposing to add three new
provisions in § 205.239(a)(8) to require
the group housing of swine, with several
listed exceptions. Section
205.239(a)(8)(i) would allow for sows to
be individually housed at farrowing and
during the suckling period. Section
205.239(a)(8)(ii) would allow for boars
to be individually housed to reduce the
likelihood of fights and injuries. Section
205.239(a)(8)(iii) would allow for swine
to be individually housed after
documented multiple instances of
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aggression or to allow an individual pig
to recover from a documented illness.
AMS is proposing to add two new
provisions in § 205.239(a)(9) and (10)
concerning swine housing. Section
205.239(a)(9) would prohibit the use of
flat decks or piglet cages. This provision
would prohibit the stacking of piglets in
flat decks in multiple layers. In
addition, § 205.239(a)(10) would require
that both indoor and outdoor areas for
swine would have some space which
would permit rooting. Rooting is a
natural behavior which must be
accommodated by organic swine
producers and could be done in soil,
deep packed straw, or other materials.
Organic swine producers must also
demonstrate how swine will be allowed
to root during temporary confinement
events.
AMS is proposing to add a new
provision in § 205.239(a)(11) to further
define barns or other structures with
stalls. If indoor shelter is provided by a
structure with stalls, then one stall must
be provided for each animal at any
given time. This allows for all animals
to rest or lie down at the same time and
provides a space for less dominant
animals to escape from aggressive
animals. In no case may a cage be
considered a stall. One exception is
provided for this provision. In grouphoused swine, more animals than
feeding stalls may be allowed, as long as
all animals are able to consume
sufficient quantities of feed to maintain
good body condition. AMS is aware of
some enhanced swine welfare systems,
in which animals are robotically fed
once they enter an individual feeding
stall. Once finished, the animal may
leave the stall and another animal enter
the stall for its specific quantity of feed.
AMS did not intend to prohibit such
systems, which enhance the health and
wellbeing of organic animals.
AMS is proposing to add a new
requirement for outdoor access in
§ 205.239(a)(12). Organic livestock are
required to have unencumbered access
to the outdoors at all times, unless
temporary confinement is justified
under a specific reason described in the
regulations (e.g., nighttime confinement
for protection from predators). As part
of the definition of the outdoors,
livestock must have access to the soil in
a manner that maintains or improves the
natural resources of the farm, and does
not degrade soil or water quality. To
make access to soil meaningful, at least
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21969
50 percent of all the outdoor access area
must be comprised of soil. This will
benefit mammals, as surfaces such as
concrete may lead to more joint
problems and resulting lameness. Soil
also provides an opportunity for swine
to root and engage in other natural
behaviors.
AMS is proposing to revise
§ 205.239(b)(7) to clarify the exemption
for temporary confinement for the
purpose of breeding livestock. Livestock
may only be confined for the time that
a natural or artificial breeding procedure
requires. A group of livestock may be
confined while the various individuals
are bred, then the group would be
returned to living spaces that allow
outdoor access. Livestock may not be
confined indoors to observe estrus.
Section 205.239(c)(1) describes the time
when ruminants may be denied access
to pasture, but not access to the
outdoors, before and after a breeding
attempt.
AMS is proposing to revise
§ 205.239(b)(8) to clarify the temporary
confinement exception for youth
livestock projects. Many youth livestock
projects include the sale of market
animals. Organic animals that were
under continuous organic management
may be sold as organic animals at youth
fairs, even if the sales facility is not
certified organic. This revised provision
includes an exemption to the
§ 205.239(b)(6) requirement that a
livestock sales facility be certified as an
organic operation. As an example, if a
youth exhibition and sale is held at a
livestock sales facility which is not
certified organic, the youth may sell the
organic animal as an organic animal,
provided all other requirements for the
organic management of livestock are
met. Otherwise, non-certified sales
facilities, such as auction barns or fair
grounds, may not sell or represent
livestock as organic. AMS is proposing
to provide this exception to encourage
the next generation of organic farmers.
AMS is proposing to revise
§ 205.239(d) to reflect the similar
proposed changes in § 205.239(a)(1).
AMS would remove the phrase
requiring that all ruminants be able to
feed simultaneously. This would allow
the use of self-feeding and creep-feeding
so that the ruminants would have access
to feed continuously over a 24-hour
period.
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D. Avian Living Conditions
New .......................
New .......................
205.241(b) ...............................
205.241(b)(1) ...........................
205.241(b)(2) ...........................
New .......................
New .......................
New .......................
205.241(b)(3) ...........................
New .......................
205.241(b)(4) ...........................
205.241(b)(4)(i) .......................
205.241(b)(4)(ii) .......................
New .......................
New .......................
New .......................
205.241(b)(4)(iii) ......................
205.241(b)(5) ...........................
New .......................
New .......................
205.241(b)(6) ...........................
New .......................
205.241(b)(7) ...........................
New .......................
205.241(b)(7)(i) .......................
205.241(b)(7)(ii) .......................
205.241(b)(7)(iii) ......................
New .......................
New .......................
New .......................
205.241(b)(7)(iv) ......................
205.241(b)(8) ...........................
New .......................
New .......................
205.241(b)(9) ...........................
New .......................
205.241(b)(10) .........................
205.241(b)(11) .........................
New .......................
New .......................
205.241(c) ...............................
205.241(c)(1) ...........................
New .......................
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205.241(c)(8) ...........................
205.241(d) ...............................
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205.241(d)(1) ...........................
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205.241(d)(4) ...........................
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Avian Living Conditions.
(a) The producer of an organic poultry operation must establish and maintain year-round
poultry living conditions which accommodate the health and natural behavior of poultry,
including: year-round access to outdoors; shade; shelter; exercise areas; fresh air; direct sunlight; clean water for drinking; materials for dust bathing; and adequate outdoor
space to escape from predators and aggressive behaviors suitable to the species, its
stage of life, the climate and environment. Poultry may be temporarily denied access to
the outdoors in accordance with § 205.241(d).
Indoor space requirements.
(1) All birds must be able to move freely, and engage in natural behaviors.
(2) Ventilation must be adequate to prevent buildup of ammonia. Ammonia levels must
not exceed 25 ppm. Producers must monitor ammonia levels on a monthly basis.
When ammonia levels exceed 10 ppm, producers must implement additional practices
to reduce ammonia levels below 10 ppm.
(3) For layers and mature birds, artificial light may be used to prolong the day length up
to 16 hours. Artificial light intensity must be lowered gradually to encourage hens to
move to perches or settle for the night. Natural light must be sufficient indoors on
sunny days so that an inspector can read and write when all lights are turned off.
(4)The following types of flooring may be used in shelter provided for avian species:
(i) Mesh or slatted flooring under drinking areas to provide drainage;
(ii) Houses, excluding pasture housing, with slatted/mesh floors must have 30 percent
minimum of solid floor area available with sufficient litter available for dust baths so that
birds may freely dust bathe without crowding.
(iii) Litter must be provided and maintained in a dry condition.
(5) Poultry houses must have sufficient exit areas, appropriately distributed around the
building, to ensure that all birds have ready access to the outdoors.
(6) Flat roosts areas must allow birds to grip with their feet. Six inches of perch space
must be provided per bird. Perch space may include the alighting rail in front of the
nest boxes. All birds must be able to perch at the same time except for multi-tiered facilities, in which 55 percent of birds must be able to perch at the same time. Facilities
for species which do not perch do not need to be contain perch and roost space.
(7) For layers, no more than 2.25 pounds of hen per square foot of indoor space is allowed at any time, except;
Pasture housing: no more than 4.5 pounds of hen per square foot of indoor space;
Aviary housing: no more than 4.5 pounds of hen per square foot of indoor space;
Slatted/mesh floor housing: no more than 3.75 pounds of hen per square foot of indoor
space; and
Floor litter housing: no more than 3.0 pounds of hen per square foot of indoor space.
(8) For pullets, no more than 3.0 pounds of pullet per square foot of indoor space may be
allowed at any time.
(9) For turkeys, broilers, and other meat type species, no more than 5.0 pounds of birds
per square foot of indoor space is allowed at any time.
(10) All birds must have access to scratch areas in the house.
(11) Poultry housing must be sufficiently spacious to allow all birds to move freely, stretch
their wings, stand normally, and engage in natural behaviors.
Outdoor Space Requirements.
(1) Outside access and door spacing must be designed to promote and encourage outside access for all birds on a daily basis. Producers must provide access to the outdoors at an early age to encourage (train) birds to go outdoors. Outdoor areas must
have suitable enrichment to entice birds to go outside. Birds may be temporarily denied
access to the outdoors in accordance with § 205.241(d).
(2) Exit areas for birds to get outside must be designed so that more than one bird at a
time can get through the opening and that all birds within the house can go through the
exit areas within one hour.
(3) For layers, no more than 2.25 pounds of hen per square foot of outdoor space may
be allowed at any time.
(4) For pullets, no more than 3.0 pounds of pullet per square foot may be allowed at any
time.
(5) For turkeys, broilers, and other meat type species, no more than 5.0 pounds of bird
per square foot may be allowed at any time.
(6) Space that has a solid roof overhead and is attached to the structure providing indoor
space does not meet the definition of outdoor access and must not be included in the
calculation of outdoor space.
(7) Shade may be provided by structures, trees or other objects in the environment.
(8) At least 50 percent of outdoor access space must be soil.
(d) The producer of an organic poultry operation may temporarily confine birds. Each instance of confinement must be recorded. Producers may confine birds because of:
(1) Inclement weather, including, when air temperatures are under 40 degrees F or above
90 degrees F;
(2) The animal’s stage of life, including the first 4 weeks of life for broilers and other meat
type birds and the first 16 weeks of life for pullets; and
(3) Conditions under which the health, safety, or well-being of the animal could be jeopardized; however, the potential for disease outbreak is not sufficient cause. A documented occurrence of a disease in the region or relevant migratory pathway must be
present in order to confine birds.
(4) Risk to soil or water quality.
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In conjunction with the proposed
amendments discussed above, AMS is
proposing to add a new § 205.241,
entitled ‘‘Avian living conditions.’’
AMS chose to divide in two the existing
living condition section, one for
mammalian and one for avian, to
provide for more clarity and specificity
for each. The proposed avian living
conditions section would include
existing provisions from the current
living conditions requirements as well
as requirements recommended by the
NOSB. AMS made a similar decision
when the pasture requirements were
added specifically for ruminants and
not simply appended onto the livestock
feed section. The requirements in this
new section would apply to all poultry
species, including but not limited to,
chickens, turkeys, geese, quail,
pheasant, and any other species which
are raised for organic eggs, organic meat,
or other organic agricultural product.
AMS is proposing to add § 205.241(a) to
require organic poultry operations to
establish and maintain living conditions
that accommodate the health and
natural behaviors of the birds.
In addition, a new § 205.241(a) would
require organic poultry producers to
provide their birds with year-round
access to the outdoors, soil, shade,
shelter, exercise areas, fresh air, direct
sunlight, clean water for drinking,
materials for dust bathing, and adequate
space to escape both predators and
aggressive behaviors, in a manner that is
suitable to the species, the stage of life,
and the environment. These general
principles will be further clarified in
§ 205.241(b) and (c). New § 205.241(d)
describes exceptions to the requirement
for outdoor access.
AMS is proposing to add a new
§ 205.241(b) to specify avian indoor
space requirements. New § 205.241(b)(1)
would require that indoor space allow
all birds to move freely and engage in
natural behaviors. This would prohibit
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(5) Preventive healthcare procedures or for the treatment of illness or injury (neither various life stages nor egg laying is an illness or injury).
(6) Sorting or shipping birds and poultry sales: Provided, the birds are maintained under
continuous organic management, throughout the extent of their allowed confinement.
(7) Nest Box training: Except, that, birds shall not be confined any longer than two weeks
to teach the proper behavior.
(8) 4–H, National FFA Organization, and other youth projects, for no more than one week
prior to a fair or other demonstration, through the event, and up to 24 hours after the
birds have arrived home at the conclusion of the event. These birds must have been
maintained under continuous organic management, including organic feed, during the
extent of their allowed confinement for the event. Notwithstanding the requirements in
paragraph (d)(6) of this section, facilities where 4–H, National FFA Organization, and
other youth events are held are not required to be certified organic for the participating
birds to be sold as organic, provided all other organic management practices are.
(e)The producer of an organic poultry operation must manage manure in a manner that
does not contribute to contamination of crops, soil, or water by plant nutrients, heavy
metals, or pathogenic organisms and optimizes recycling of nutrients and must manage
outdoor access in a manner that does not put soil or water quality at risk.
the use of cages or environments which
limit free movement within the indoor
space. In addition, the indoor space
must allow birds to engage in natural
behaviors such as dust bathing or escape
from aggressive birds.
AMS is proposing to add a new
§ 205.241(b)(2) to require ventilation
suitable to prevent ammonia in
excessive concentrations in the indoor
space. Ammonia is a natural breakdown
product of manure from livestock which
can be harmful for birds to inhale.
Producers must describe in the Organic
System Plan methods and procedures
which will maintain ammonia under 10
ppm. Ammonia levels would need to be
monitored monthly to verify that
ammonia concentrations remain under
10 ppm and never exceed 25 ppm.
Producers would need to implement
additional ammonia mitigation
procedures when ammonia levels
exceed 10 ppm to ensure that ammonia
levels never exceed 25 ppm in the
indoor space. Ammonia in high
concentrations is harmful for birds to
inhale, and, in many cases, is a sign that
the litter is too damp, which also may
cause lameness in the birds.
AMS is proposing to add a new
§ 205.241(b)(3) to clarify the lighting
requirements for organic poultry.
Organic producers may use artificial
light to prolong the daylight up to 16
hours. No artificial light could be used
to prolong the day if natural darkness
was 8 hours or less. Artificial light must
be lowered gradually to encourage hens
to move to perches or otherwise settle
for the night. Producers must design
indoor spaces with access to natural
light so that, on sunny days, inspectors
can read and write when the lights are
turned off. This requirement sets forth a
performance standard that facilitates
inspection, provides for enough lighting
to accommodate natural avian behavior,
and allows flexibility to operations in
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determining how to design their
facilities for compliance.
AMS is proposing to add a new
§ 205.241(b)(4) to describe the types of
flooring that may be used in all types of
indoor poultry houses provided for
avian species. Mesh flooring would be
allowed under drinking areas to provide
drainage in new § 205.241(b)(4)(i). AMS
is proposing to add new
§ 205.241(b)(4)(ii) to allow for slatted
floors as long as 30 percent of the
flooring is solid with sufficient litter so
that birds may dust bathe freely without
crowding. Pasture housing is being
exempted from this requirement, as
birds on pasture will have large areas of
outdoor space for dust bathing. AMS is
further proposing in new
§ 205.241(b)(4)(iii) that the litter must be
provided in all types of indoor housing
and maintained in a dry manner. Wet
litter can lead to a variety of problems
for birds, including lameness and excess
ammonia concentration. Litter may be
topped off when needed to maintain
sufficient dryness.
AMS is proposing to add a new
§ 205.241(b)(5) to describe the required
openings in shelters so that the birds
can easily access both the indoor and
outdoor areas. Doors or openings must
be distributed around the building. In
addition, the openings must be large
enough to allow the passage of more
than one bird at a time. Wide doors
spread around the building provide
meaningful outdoor access to the birds.
AMS is proposing to add a new
§ 205.241(b)(6) to require a flat roost
area which birds may grip with their
feet with a minimum of 6 inches of
perch space per bird. The perch space
may include the alighting rail in front of
nest boxes. In single story buildings, all
birds must be able to perch at the same
time. In multi-tiered facilities, 55
percent of the birds must be able to
perch at the same time, and the 6-inch
per hen requirement still applies.
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Perches may be either set on the
ground/platform or elevated.
AMS is proposing to add new
§ 205.241(b)(7), (b)(7)(i), (b)(7)(ii),
(b)(7)(iii), (b)(7)(iv), (b)(8), and (b)(9) to
list the required minimum avian indoor
space requirements. Indoor space
requirements apply with various
minimums to all methods of production,
including ones in which indoor space is
provided with permanent buildings or
mobile pasture units. Indoor space is
further defined in § 205.2, including
pasture housing, aviary housing, floor
little housing and slatted/mesh floor
housing. In 2011, the NOSB
recommended a minimum of 2.0 square
feet per hen based on the outside
perimeter of the indoor housing
structure and in which all types of
indoor housing would have the same
space requirement. In preparation for
this proposed rule, AMS examined a
number of other animal welfare
certification programs developed by
scientific committees.12 These animal
welfare certification standards varied
from a minimum of 1.0 square feet per
bird in aviaries and pasture systems to
1.8 square feet per hen with no more
than 500 hens per barn. In addition,
AMS obtained comments from various
producer, certifying agent, and trade
groups. Producers in colder climates
stated that maintaining a warm indoor
temperature during the winter is much
more difficult with a 2.0 square foot
minimum requirement for indoor space.
Producers with aviaries cited the
scientific committees’ findings that
aviaries provided enhanced welfare due
to birds being able to utilize vertical
space to engage in natural behaviors.
Producers with slatted/mesh floors cited
the reduced welfare concerns from
lameness by keeping the litter drier. To
better align with current scientific
consensus, AMS is determining the
space density requirements by housing
type. AMS is proposing that pasture
housing have a maximum of 4.5 pounds
per square foot; aviary housing have a
maximum of 4.5 pounds per square foot;
slatted/mesh floor have a maximum of
3.75 pounds per square foot; and floor
litter housing have a maximum of 3.0
pounds per square foot. As explained
below, AMS is proposing to use pounds
of laying hen per square foot to measure
indoor space per laying hen, in order to
have consistent application of this
requirement for different avian species/
varieties.
AMS recognizes that a wide variety of
species and breeds within species may
be used to produce eggs for human
consumption. Using a minimum space
per animal would be problematic if a
producer of quail eggs or emu eggs were
to seek organic certification. The square
feet of space per hen metric would not
be reasonable for these and other
species. Therefore, AMS is proposing to
convert the minimum square feet of
space per hen to the construction of
maximum pounds of laying hen per
square foot of space provided, similar to
format of the NOSB-recommended
minimum space for pullets and meattype birds. To make this conversion,
AMS determined that a majority of
organic eggs are brown eggs. AMS
determined that about 60 percent of all
brown eggs are produced by the ISA
Brown strain of chicken. Based on this,
AMS made the assumption a majority of
the organic brown eggs were produced
by the ISA Brown strain of chicken. An
average mature weight for an ISA Brown
hen is 4.5 pounds. AMS made the
following calculation to convert
minimum square feet to maximum
pounds per square foot:
(1 hen/2.0 square feet) * (4.5 pounds/1
hen) = 2.25 pounds per square foot
Table 1 lists the square feet per laying
hen for various housing types and the
resulting calculation of pounds of hen
per square foot allowed.
TABLE 1—INDOOR STOCKING DENSITY—UNIT CONVERSION
Square feet
per laying hen
Indoor housing type
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS
Pasture .....................................................................................................................................................................
Aviary .......................................................................................................................................................................
Floor Litter ................................................................................................................................................................
Pit/mesh litter ...........................................................................................................................................................
All others ..................................................................................................................................................................
Pounds of hen
per square
foot
1.0
1.0
1.5
1.2
2.0
4.5
4.5
3.0
3.75
2.25
AMS is requesting comments
regarding the above assumptions.
Specifically, AMS requests comments
on:
• Are most organic eggs brown?
• Are most organic laying hens from
the ISA Brown strain?
• Is the mature weight of an ISA
Brown hen 4.5 pounds under organic
condition?
• What other avian species are used
for organic egg production?
The indoor space requirement based
upon maximum pounds of laying hen
per square foot of space will allow
producers to vary the number of birds
in a given house depending upon the
size of the bird or breed of the bird. For
example, Rhode Island Red birds are
heavier than white leghorns or ISA
Browns, and thus could not be stocked
as densely (number of birds per unit
area) in the same area.
AMS is proposing to use the NOSB
recommendation of a maximum 3
pounds of pullet per square foot of
indoor space in new § 205.241(b)(8) and
a maximum of 5 pounds of meat-type
species (e.g., broilers, turkeys, geese) per
square foot of indoor space in
§ 205.241(b)(9). These are minimum
standards, and organic producers may
choose to provide more indoor space
than required.
AMS is proposing to add new
§ 205.241(b)(10) and (11) to specify
indoor requirements to meet certain
natural behaviors. Indoor space,
whether stationary or mobile, must have
scratch areas which allow all birds
access. In addition, the indoor housing
must be sufficiently spacious to allow
all birds to move freely, stand normally,
stretch their wings and engage in
natural behaviors.
AMS is proposing to add a new
§ 205.241(c) to specify the outdoor space
requirements for avian species. Section
205.241(c)(1) would require that the
outdoor space be designed to promote
and encourage outdoor access for all
birds. Producers would be required to
train birds to go outdoors from an early
age. Outdoor space requirements are not
meaningful unless the birds go outside.
Therefore, producers must actively and
repeatedly train their birds to access the
12 AMS reviewed the following animal welfare
certification programs: Certified Humane (Humane
Farm Animal Care); Animal Welfare Approved;
Animal American Humane Certified (American
Humane Association); 5-Step Animal Welfare
Rating Program (Global Animal Partnership); and
United Egg Producers Certified.
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Federal Register / Vol. 81, No. 71 / Wednesday, April 13, 2016 / Proposed Rules
outdoors and provide sufficient
enrichment so that the birds stay
outdoors. Organic producers may
temporarily deny birds access to the
outdoors space, in accordance with
§ 205.241(d).
AMS is proposing in § 205.241(c)(1),
in line with the NOSB recommendation,
that outdoor areas must have suitable
enrichment to entice the birds to go
outside. One example of suitable
enrichment would be a minimum 50
percent vegetative cover (living
vegetation or harvested vegetation
scattered in the area). Minimum
vegetative cover would provide
opportunities for poultry to engage in
natural foraging behaviors. In addition,
the vegetative cover would help to
reduce soil erosion and nutrient run off.
Other means of providing enrichment
include, but are not limited to: Access
to water for water birds; bales of straw
or hay; raised platforms; cover for
protection from aerial predators; shaded
areas and trees; and loose substrate for
dust bathing.
AMS is proposing to add new
§ 205.241(c)(3) through (5) to specify
minimum outdoor space requirements.
Organic layer producers must not
exceed 2.25 pounds of hen per square
foot of outdoor space provided. Organic
pullet producers must not exceed 3
pounds of pullet per square foot of
outdoor space provided. Organic broiler,
turkey and other meat-type producers
must not exceed 5 pounds of bird per
square foot of outdoors space provided.
AMS chose to convert the NOSB
recommended space for layers from a
minimum space per hen to a maximum
weight of bird per square foot to provide
greater flexibility in the regulations for
organic producers that produce organic
eggs from quail, emu, or other species
using a similar calculation as shown in
the indoor space requirement section
earlier. These space requirements are
the minimum allowed.
AMS is proposing to add new
§ 205.241(c)(6) and (7) to specify how
outdoor space must be calculated.
Outdoor space may not include any area
which has a solid roof that is attached
to the structure which provides indoor
space. Areas under eaves and overhangs
from the stationary barn or mobile unit
may not be included as part of the
outdoor space. However, the outdoor
space must provide shade for the birds.
For example, a structure with a solid
roof that is not attached to a structure
which provides indoor space may be
included as part of the outdoor space.
Shade may also be provided by trees or
other objects in the environment.
AMS is proposing to add a new
§ 205.241(c)(8) to require that the
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outdoor space have a minimum of 50
percent soil. The soil would allow for
the birds to engage in natural foraging
and dust bathing behaviors. In addition,
the soil, if covered in vegetation, would
provide nutrition and enrichment to
help draw the birds outdoors.
AMS is proposing to add a new
§ 205.241(d) to describe the conditions
under which organic avian livestock
producers may temporarily confine
birds indoors. Each period of
confinement must be separately
recorded with the reasons for the
confinement, the duration of the
confinement, and the birds or flocks
which were confined. AMS is proposing
to add a new § 205.241(d)(1) to provide
an allowance for temporary confinement
in response to inclement weather. Birds
may be confined due to storms,
blizzards, and other hazardous
conditions. In addition, this provision
allows for birds to be confined indoors
when the temperature does not exceed
40 °F. It also allows birds to be denied
access or brought inside when the
daytime temperature exceeds 90 °F.
Producers must provide documentation
for confinement due to inclement
weather, such as an actual thermometer
reading on the farm or a local weather
forecast showing the daytime high
would either not exceed 40 °F or that the
temperature exceeded 90 °F. Producers
would have to provide outdoor access
during those parts of the day when
temperatures were between 40–90 °F.
AMS is proposing to add a new
§ 205.241(d)(2) to provide an allowance
for temporary confinement indoors due
to stage of life. Broilers and other meattype birds may be confined up through
4 weeks of age. After the 4th week of
life, broilers and other meat-type birds
must be provided with outdoor access.
Pullets may be temporarily confined
indoors through 16 weeks of age. After
the 16th week of life, pullets must be
provided with outdoor access. The
NOSB recommended that 16 weeks of
age be used before required outdoor
access, so that pullets could complete
their vaccination program before
exposure to pathogens outdoors.
AMS is proposing to add a new
§ 205.241(d)(3) to provide an allowance
for temporary indoor confinement under
conditions in which the health, safety,
or well-being of the birds could be
jeopardized. Permanently restricting
birds to the indoors is not allowed. In
addition, confinement due to potential
outbreaks is not allowed. A documented
case of the disease in the region or
migratory pathway must be present
before a temporary confinement may
begin.
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21973
AMS is proposing to add a new
§ 205.241(d)(4) to provide an allowance
for indoor confinement to prevent risk
to soil or water quality. This allowance
is for temporary confinement after major
rain events in which the soil may be
excessively soft so that the birds could
create a soil or water run off risk.
AMS is proposing to add a new
§ 205.241(d)(5) to provide an allowance
for indoor confinement for preventive
health care procedures or for the
treatment of illness or injury. Neither
life stages nor egg laying are considered
an illness for confinement purposes.
This provision would allow for
producers to briefly confine a flock to
administer vaccinations or to confine an
individual animal that required medical
treatment. This provision would also
allow for an injured or sick animal to be
confined indoors until the animal
regained health.
AMS is proposing to add a new
§ 205.241(d)(6) to provide an allowance
for indoor confinement for sorting,
shipping, and poultry sales. However,
the birds must be managed organically
during the entire time of confinement.
Confinement must be no longer than
necessary to sort the birds or to catch
the birds, place them in shipping
containers, and conduct the sale.
AMS is proposing to add a new
§ 205.241(d)(7) to provide an allowance
for indoor confinement to train pullets
to use the nest box. However, this
training period may only be a maximum
of 2 weeks and must not be any longer
than necessary to teach the birds the
proper behavior.
AMS is proposing to add a new
§ 205.241(d)(8) to provide an allowance
for indoor confinement for youth
exhibitions, such as with 4–H or the
National FFA Organization. This new
provision also includes an exemption to
the § 205.239(b)(6) requirement that a
livestock sales facility being certified as
an organic operation. As an example, if
a youth exhibition and sale is held at a
livestock sales facility which is not
certified organic, a youth may sell birds
there as organic, provided all other
requirements for the organic
management are met. Otherwise, noncertified sales facilities, such as auction
barns, may not sell or represent
livestock as organic. AMS is adding this
exemption to encourage the next
generation of organic producers.
AMS is proposing to add a new
§ 205.241(e) to require organic poultry
producers to manage manure in a
manner that does not contribute to
contamination of crops, soil, or water
quality by plant nutrients, heavy metals,
or pathogenic organisms. Organic
poultry producers must manage the
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Federal Register / Vol. 81, No. 71 / Wednesday, April 13, 2016 / Proposed Rules
outdoor space in a manner that does not
put soil or water quality at risk. In
addition, organic poultry producers
must comply with all other
governmental agency requirements for
environmental quality.
E. Transport and Slaughter
E. Transport and Slaughter
..................................................................
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New .........................
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..................................................................
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..................................................................
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205.242(b) .....................................
205.242(b)(1) .................................
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New .........................
New .........................
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Transportation and Slaughter.
(a) Transportation.
(1) Certified organic livestock must be
clearly identified as organic and transported in pens within the livestock trailer clearly labeled for organic use and
be contained in those pens for the duration of the trip.
(2) All livestock must be fit for transport
to auction or slaughter facilities.
(i) Calves must have a dry navel cord
and be able to stand and walk without
human assistance.
(ii) Sick, injured, weak, disabled, blind,
and lame animals must not be transported for sale or slaughter. Such animals may be medically treated or
euthanized.
(3) Adequate and season-appropriate
ventilation is required for all livestock
trailers, shipping containers and any
other mode of transportation used to
protect animals against cold and heat
stresses.
(4) Bedding must be provided on trailer
floors and in holding pens as needed
to keep livestock clean, dry, and comfortable during transportation and prior
to slaughter. Poultry crates are exempt
from the bedding requirement. When
roughages are used for bedding they
must have been organically produced
and handled by certified organic operations.
(5) Arrangements for water and organic
feed must be made if transport time,
including all time on the mode of transportation, exceeds twelve hours.
(i) The producer or handler of an organic
livestock operation must transport livestock in compliance with the Federal
Twenty-Eight Hour Law (49 U.S.C.
80502) and the regulations at 9 CFR
89.1–89.5.
The producer or handler of an organic
livestock operation must provide all
non-compliant records and subsequent
corrective action related to livestock
transport during the annual inspection.
(6) Organic producers must have in
place emergency plans adequate to
address possible animal welfare problems that might occur during transport.
Mammalian Slaughter.
Producers and handlers who slaughter
organic livestock must be in compliance with the Federal Meat Inspection
Act (21 U.S.C. 603(b) and 21 U.S.C.
610(b) and the regulations at 9 CFR
part 313 regarding humane handling
and slaughter of livestock.
Producers and handlers who slaughter
organic exotic animals must be in
compliance with the Agricultural Marketing Act of 1946 (7 U.S.C. 1621, et
seq.) and the regulations at 9 CFR
parts 313 and 352 regarding the humane handling and slaughter of exotic
animals.
13APP2
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New .........................
205.242(c) .....................................
205.242(c)(1) .................................
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New .........................
New .........................
205.242(c)(2) .................................
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New .........................
205.242(c)(3) .................................
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New .........................
205.242(c)(3)(i) ..............................
..................................................................
New .........................
205.242(c)(3)(ii) .............................
..................................................................
New .........................
205.242(c)(3)(iii) ............................
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205.242(b)(3) .................................
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New .........................
Under the OFPA at 7 U.S.C.
6509(d)(2), ‘‘Health Care,’’ the NOSB
may make recommendations ‘‘for the
care of livestock to ensure that such
livestock is organically produced.’’ As
stated above, in December 2011, the
NOSB passed a recommendation to add
standards for transportation of livestock
to slaughter facilities and the slaughter
process. AMS is proposing regulations,
in a new § 205.242 for Transportation
and Slaughter, in response to this
recommendation. This proposed section
would require producers and handlers
of livestock to maintain organic integrity
and provide for animal welfare during
transportation. Further, the proposed
section would clarify the requirements
for slaughter of livestock by certified
operations. These requirements would
include performance standards
regarding the transportation of livestock,
including a requirement that operations
comply with the Twenty-Eight Hour
Law and its implementing regulations as
a condition of organic certification.
These requirements also would
establish as a condition of organic
certification compliance with the
Federal Meat Inspection Act (FMIA) and
Poultry Products Inspection Act
requirements concerning slaughter, as
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well as compliance with USDA Food
Safety and Inspection Service (FSIS)
regulatory requirements regarding the
slaughter of exotic animals under
voluntary inspection.
Transportation
AMS is proposing to publish the
transportation requirements in new
§ 205.242(a). Section 205.242(a)(1)
would require that all organic livestock
be transported in a trailer/truck or in
pens within the trailer/truck that are
clearly identified for organic use, and
that the animals remain within those
pens for the duration of the trip.
AMS is proposing a new
§ 205.242(a)(2) to set minimum fitness
requirements for livestock to be
transported. Section 205.242(a)(2)(i)
would require that calves have a dry
navel cord, and be able to stand and
walk without assistance, if they are to be
transported. This provision would apply
only to transport to auction facilities or
slaughter facilities. Beef cattle and dairy
cattle producers may transport calves on
the farm before the navel is dried and
the calves can walk. Section
205.242(a)(2)(ii) would prohibit
transport of sick, injured, weak,
disabled, blind, and lame animals to
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21975
Producers and handlers who slaughter
organic livestock or exotic animals
must provide all non-compliant records
related to humane handling and
slaughter issued by the controlling national, federal, or state authority and all
records of subsequent corrective actions during the annual organic inspection.
(c) Avian Slaughter.
(1) Producers and handlers who slaughter organic poultry must be in compliance with the Poultry Products Inspection Act requirements (21 U.S.C.
453(g)(5) and the regulations at 9 CFR
381.1(b)(v), 381.90, and 381.65(b)).
(2) Producers and handlers who slaughter organic poultry must provide all
non-compliant records related to the
use of good manufacturing practices in
connection with slaughter issued by
the controlling national, federal, or
state authority and all records of subsequent corrective actions during the
annual organic inspection.
(3) Producers and handlers who slaughter organic poultry, but are exempt
from or not covered by the requirements of the Poultry Products Inspection Act , must ensure that:
(i) No lame birds may be shackled, hung,
or carried by their legs;
(2) All birds shackled on a chain or automated system must be stunned prior
to exsanguination; and
(3) All birds must be irreversibly insensible prior to being placed in the scalding tank.
auction or slaughter facilities. These
animals may either be given medical
treatments and cared for until they
improve or euthanized.
AMS is proposing new § 205.242(a)(3)
and (4) to set minimum standards for
the trailer, truck, or shipping container
used for transporting organic livestock.
The mode of transportation would be
required to provide seasonalappropriate ventilation to protect
against cold or heat stress. This
provision would require that air flow be
adjusted depending upon the season
and temperature. In addition, bedding
would be required to be provided on
trailer floors as needed to keep livestock
clean, dry and comfortable. If roughage
is used as bedding, the bedding would
need to be organically produced and
handled. Use of non-organic bedding
would cause loss of organic status for all
animals transported. Poultry crates
would be exempted from the bedding
requirement.
Section 205.242(a)(5) would require
that all livestock must be provided with
organic feed and clean water if transport
time exceeds 12 hours. The 12 hour
time period includes all times in which
the animals are on the trailer/truck/
shipping container but not moving. In
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cases such as poultry slaughter where
requirements do not allow feed 24 hours
before slaughter, producers and
slaughter facilities would need to ensure
that transport time did not exceed 12
hours, as the birds would need to be fed
at that time.
AMS is proposing new
§ 205.242(a)(5)(i) and (ii) to clarify the
authority of the NOP, certifying agents
and State organic programs to initiate
compliance action if certified operations
are found to have violated the TwentyEight Hour Law (49 U.S.C. 80502) and
its implementing regulations at 9 CFR
89.1 through 89.5. In general, this law
provides that animals may not be
confined for more than 28 consecutive
hours without unloading for feeding,
watering and rest. The USDA Animal
and Plant Health Inspection Service
(APHIS) enforces this law and has
approved in-transit feed, water and rest
stations. Violators of the Twenty-Eight
Hour Law are subject to civil penalties.
In the event that a certified operation
receives a non-compliance or civil
penalty under the Twenty-Eight Hour
Law, the certified operation must
present those records to the certifier
during the annual organic inspection.
AMS is proposing a new
§ 205.242(a)(6) to require operations
which transport livestock to sales or
slaughter to have in place emergency
plans that adequately address problems
reasonably possible during transport.
Such emergency plans could include
how to provide feed and water if
transport time exceeded 12 hours, if
livestock escaped during transport, or
how to euthanize an animal hurt during
transport. Shipping and/or receiving
operations would need to include these
plans in their OSPs.
Slaughter and the Handling of Livestock
in Connection With Slaughter
AMS is proposing a new § 205.242(b),
regarding mammalian slaughter, to
clarify the authority of the NOP,
certifying agents and State organic
programs to initiate compliance action if
certified operations are found to have
violated FSIS regulations governing the
humane handling of mammalian
livestock in connection with slaughter
(note that AMS is separating
mammalian from avian slaughter
requirements due to the differences in
how mammalian and avian livestock are
handled and slaughtered). This new
section, entitled ‘‘Mammalian
Slaughter,’’ would govern the mammals
defined as ‘‘livestock’’ or ‘‘exotic
animals’’ under the FSIS regulations.
Under the FSIS regulations, ‘‘livestock’’
are cattle, sheep, swine, goat, horse,
mule, or other equine. ‘‘Exotic animals’’
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are antelope, bison, buffalo, cattalo,
deer, elk, reindeer and water buffalo.
These regulations govern the handling
and slaughter of the majority of
mammalian animals used for food in the
United States and would apply to all
certified organic operations that
slaughter these animals.
AMS is proposing to add a new
§ 205.242(b)(1) to require certified
organic slaughter facilities to be in full
compliance with the Humane Methods
of Slaughter Act (HMSA) of 1978 (7
U.S.C. 1901 et seq.) and its
implementing FSIS regulations. The
HMSA requires that humane methods
be used for handling and slaughtering
livestock and defines humane methods
of slaughter. In the HMSA, Congress
found ‘‘that the use of humane methods
in the slaughter of livestock prevents
needless suffering; results in safer and
better working conditions for persons
engaged in the slaughtering industry;
brings about improvement of products
and economies in slaughtering
operations; and produces other benefits
for producers, processors, and
consumers which tend to expedite an
orderly flow of livestock and livestock
products in interstate and foreign
commerce.’’ The HMSA is referenced in
the FMIA at 21 U.S.C. 603 and is
implemented by FSIS humane handling
and slaughter regulations found at 9
CFR part 313. The FMIA provides that,
for the purposes of preventing
inhumane slaughter of livestock, the
Secretary of Agriculture will assign
inspectors to examine and inspect the
methods by which livestock are
slaughtered and handled in connection
with slaughter in slaughtering
establishments subject to inspection (21
U.S.C. 603(b)).
All establishments that slaughter
livestock, which include any certified
organic operations that slaughter
livestock, must meet the humane
handling and slaughter requirements the
entire time they hold livestock in
connection with slaughter. FSIS
provides for continuous inspection in
livestock slaughter establishments, and
inspection program personnel verify
compliance with the humane handling
regulations during each shift that
animals are slaughtered, or when
animals are on site, even during a
processing only shift. The regulations at
9 CFR part 313 govern the maintenance
of pens, driveways and ramps; the
handling of livestock, focusing on their
movement from pens to slaughter; and
the use of different stunning and
slaughter methods. Notably, FSIS
inspection program personnel verify
compliance with the regulations at 9
CFR part 313 through the monitoring of
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many of the same parameters proposed
by the NOSB in 2011, e.g., prod use,
slips and fall, stunning effectiveness
and incidents of egregious inhumane
handling.13 FSIS has a range of
enforcement actions available regarding
violations of the humane slaughter
requirements for livestock, including
noncompliance records, regulatory
control actions and suspensions of
inspection.
Further, FSIS encourages livestock
slaughter establishments to use a
systematic approach to humane
handling and slaughter to best ensure
that they meet the requirements of the
HMSA, FMIA, and implementing
regulations.14 With a systematic
approach, establishments focus on
treating livestock in such a manner as to
minimize excitement, discomfort, and
accidental injury the entire time they
hold livestock in connection with
slaughter. Establishments may develop
written animal handling plans and share
them with FSIS inspection program
personnel.
AMS is proposing to add a new
§ 205.242(b)(2) for those certified
organic facilities which slaughter exotic
animals and voluntarily request FSIS
inspection. FSIS also provides, upon
request, voluntary inspection of certain
exotic animal species on a fee-forservice basis, under the authority of the
Agricultural Marketing Act of 1946.
FSIS regulates the humane handling of
the slaughter of exotic animals under
the regulations at 9 CFR part 352.10,
which require that exotic animals be
slaughtered and handled in connection
with slaughter in accordance with the
requirements for livestock at 9 CFR part
313. Violation of these regulations can
result in a denial of service by FSIS.
AMS is proposing to add
§ 205.242(b)(3) to require that all
certified organic slaughter facilities
provide any FSIS noncompliance
records or corrective action records
relating to humane handling and
slaughter during the annual organic
inspection. Not all violations of FSIS
regulations result in a suspension of
FSIS inspection services. In some cases,
FSIS will issue a noncompliance record
and the slaughter facility must perform
corrective actions to bring the slaughter
facility back into compliance. These
records must be presented during the
annual organic inspection to verify that
the slaughter facility is in full
13 FSIS Directive 6900.2, Revision 2, Humane
Handling and the Slaughter of Livestock, August 15,
2011.
14 Humane Handling and Slaughter Requirements
and the Merits of a Systematic Approach To Meet
Such Requirements, FSIS, 69 FR 54625, September
9, 2004.
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compliance and has taken all corrective
actions. In addition, AMS recognizes
that in the United States some slaughter
facilities are regulated by the State for
intra-state meat sales. In foreign
countries, foreign governments may be
the appropriate regulatory authority for
humane slaughter inspections. In all
cases, the relevant humane slaughter
noncompliance records and corrective
action records must be provided during
the annual inspection.
Slaughter and the Handling of Poultry
in Connection With Slaughter
AMS is proposing a new § 205.242(c),
regarding avian slaughter facilities.
Section 202.242(c)(1) would clarify the
authority of the NOP, certifying agents
and State organic programs to initiate
compliance action if certified operations
are found to have violated the Poultry
Products Inspection Act (PPIA)
requirements regarding poultry
slaughter, as well as the FSIS
regulations regarding the slaughter of
poultry and the use of good commercial
practices in the slaughter of poultry.
Under the PPIA and the FSIS
regulations, poultry are defined as
chickens, turkeys, ducks, geese, guineas,
ratites, and squabs. These species
constitute the majority of avian species
slaughtered for human food in the
United States. However, the organic
standards for avian slaughter will apply
to all species biologically considered
avian or birds. The NOSB did not
directly address avian slaughter
requirements. However, AMS is
proposing avian slaughter requirements
for consistency with the proposed
mammalian slaughter requirements and
to better ensure the welfare of all
animals slaughtered by certified
operations.
While the HMSA does not apply to
poultry, under the PPIA at 21 U.S.C.
453(g)(5), a poultry product is
considered adulterated if it is in whole,
or in part, the product of any poultry
which has died otherwise than by
slaughter. FSIS regulations, in turn,
require that poultry be slaughtered in
accordance with good commercial
practices, in a manner that will result in
thorough bleeding of the poultry carcass
and will ensure that breathing has
stopped before scalding (9 CFR 381.65
(b)).
In a 2005 Federal Register Notice,
FSIS reminded all poultry slaughter
establishments that live poultry:
. . . must be handled in a manner that is
consistent with good commercial practices,
which means they should be treated
humanely. Although there is no specific
federal humane handling and slaughter
statute for poultry, under the PPIA, poultry
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products are more likely to be adulterated if,
among other circumstances, they are
produced from birds that have not been
treated humanely, because such birds are
more likely to be bruised or to die other than
by slaughter.15
Also in this Notice, FSIS suggested
that poultry slaughter establishments
consider a systematic approach to
handling poultry in connection with
slaughter. FSIS defined a systematic
approach as one in which
establishments focus on treating poultry
in such a manner as to minimize
excitement, discomfort, and accidental
injury the entire time that live poultry
is held in connection with slaughter.
Although the adoption of such an
approach is voluntary, it would likely
better ensure that poultry carcasses are
unadulterated.
FSIS inspection program personnel
verify that poultry slaughter is
conducted in accordance with good
commercial practices in the pre-scald
area of slaughter establishments, where
they observe whether establishment
employees are mistreating birds or
handling them in a way that will cause
death or injury or prevent thorough
bleeding or result in excessive bruising.
Examples of noncompliant mistreatment
could include breaking the legs of birds
to hold the birds in the shackle, birds
suffering or dying from heat exhaustion
and breathing birds entering the
scalder.16 Also, in 2015, FSIS issued
specific instructions to inspection
program personnel for recording
noncompliance with the requirement for
the use of good commercial practices in
poultry slaughter.17
AMS is proposing a new
§ 205.242(c)(2) to require that all
certified organic slaughter facilities
provide, during the annual organic
inspection, any FSIS noncompliance
records and corrective action records
related to the use of good manufacturing
practices in the handling and slaughter
of poultry. Not all violations of FSIS
regulations result in a suspension of
inspection services. In some cases, FSIS
will issue a noncompliance record and
the slaughter facility must perform
corrective actions to bring the slaughter
facility back into compliance. These
records must be presented during the
annual organic inspection to verify that
the slaughter facility is in full
15 Treatment of Live Poultry Before Slaughter,
FSIS, 70 FR 56624, September 28, 2005.
16 FSIS Directive 6100.3, Revision 1, Ante-Mortem
and Post-Mortem Poultry Inspection, April 30,
2009.
17 FSIS Notice 07–15, Instructions for Writing
Poultry Good Commercial Practices Noncompliance
Records and Memorandum of Interview Letters for
Poultry Mistreatment, January 21, 2015.
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21977
compliance and has made all corrective
actions. In addition, AMS recognizes
that in the U.S. some slaughter facilities
are regulated by the State for intra-state
poultry sales. In foreign countries,
foreign governments may be the
appropriate regulatory authority for
poultry slaughter inspections. In all
cases, the relevant noncompliance
records and corrective action records
must be presented during the annual
organic inspection.
Unlike the requirements for livestock
slaughter inspection, exemptions from
poultry slaughter inspection exist for
some poultry which is going to be sold
to the public. AMS is proposing
handling and slaughter standards for
such poultry that is either exempt from
or not covered by the inspection
requirement of the PPIA. Section
205.242(c)(3) would prohibit hanging,
carrying, or shackling any lame birds by
their legs. Birds with broken legs or
injured feet may suffer needlessly if
carried or hung by their legs. Such birds
must either be euthanized or made
insensible before being shackled.
AMS is proposing new
§ 205.242(c)(3)(i) through (iii) to require
that poultry slaughter operations which
are either exempt or not covered by the
requirements of the PPIA meet animal
welfare standards that non-exempt
slaughter operations must meet. AMS is
proposing to require that no lame birds
be hung on shackles by their feet. AMS
is proposing to require that all birds that
were hung or shackled on a chain or
automated slaughter system be stunned
prior to exsanguination. This
requirement would not apply to small
scale producers who do not shackle the
birds or use an automated system and,
instead, place the birds in killing cones
before exsanguinating the birds without
stunning. AMS is proposing a new
§ 205.242(c)(3)(iii) to require that all
birds be irreversibly insensible prior to
being placed in the scalding tank.
Requests for Comment on Proposed
Slaughter Regulations
As stated above, by proposing that
compliance with the FSIS slaughter
requirements for livestock and poultry
be a condition of organic certification,
AMS would be establishing
requirements that govern the majority of
mammalian and avian species
slaughtered by organic operations for
human food in the United States.
However, the FMIA and PPIA provide
for alternatives to Federal inspection of
slaughter not addressed by this
proposal. Further, the import of meat
and poultry products produced by
slaughter establishments in other
countries raises issues not addressed in
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this proposal. AMS requests specific
comments on these areas:
State-Inspected Slaughter
Establishments
Meat and poultry establishments have
the option to apply for Federal or State
inspection if they are located in states
that operate under a cooperative
agreement with FSIS. State programs
must enforce requirements ‘‘at least
equal to’’ those imposed under the
FMIA, PPIA and HMSA. However,
product produced under state
inspection can only be sold or
distributed in intra-state commerce,
unless a State opts into an additional
cooperative program, the Cooperative
Interstate Shipment Program. How
should AMS regulate livestock slaughter
conducted at certified operations
inspected by State inspection programs?
Poultry Exemptions
The PPIA exempts from continuous
inspection a number of types of
establishments that slaughter poultry
based on various factors, including
volume of slaughter and the nature of
operations and sales. In some cases,
these establishments would be
inspected by State or local government
agencies. How should AMS regulate
poultry slaughter at certified operations
exempt from FSIS inspection?
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS
Meat and Poultry Imports
Under certain conditions, meat and
poultry products may be imported into
the United States from operations in
countries whose food regulatory systems
are determined by FSIS to be equivalent
with its regulatory system. Equivalence
would include meeting the goals of the
humane slaughter requirements for
livestock and the good commercial
practice requirements for poultry
slaughter. Verification of compliance
with equivalent slaughter requirements
would be performed by regulatory
authorities in the exporting countries.
How should AMS regulate livestock
slaughter by certified operations in
foreign countries?
F. Other Amendments Considered/
Implementation
AMS describes below where we are
significantly changing or omitting
provisions from the NOSB
recommendations. The full NOSB
recommendations which serve as the
basis for this action are available on the
AMS Web site at https://
www.ams.usda.gov/rules-regulations/
organic/nosb. The NOSB
recommendations are further described
in the Background section of this notice
and in the description of the proposed
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amendments. In a few instances, AMS is
incorporating NOSB requirements with
minor alterations. For example, AMS is
proposing a maximum of two weeks for
nest box training of poultry, compared
to the five weeks recommended by the
NOSB. In general, minor alterations
were made to either align with thirdparty animal welfare standards or
reduce potential paperwork burden.
Documentation and Lists. The NOSB
recommendations included additional
recordkeeping requirements to track
practices and animal status. Examples
included (1) an annual submissions of
lists of all existing and purchased
animals, (2) a list of animals with health
issues and the treatment provided, and
(3) a list of animals that left the
operation and why they left. AMS did
not include these explicit provisions in
order to reduce duplication and
minimize the paperwork burden.
Producers are already required to
maintain records on practices and
procedures, and describe monitoring
practices and procedures under the
current scope of the organic system plan
in § 205.201. In addition, the current
USDA organic regulations require
certified operations to maintain records
that are adapted to the particular
business the operation is conducting
and fully disclose all activities and
transactions in § 205.103(b). Therefore,
the documentation and recordkeeping
provisions that the NOSB recommended
would already be met under the current
regulations and would be sufficient to
verify compliance with the proposed
requirements.
Avian indoor space requirements.
AMS considered the NOSB
recommendation that only the first level
of indoor space be included as indoor
space; and that perching areas and nest
boxes could not be used in the
calculation of floor space. In effect this
would prohibit aviary-style housing,
where chickens occupy multi-levels
within a house, in organic poultry
production. A sizeable portion of
organic egg production currently comes
from operations using aviary houses.
AMS is not including that provision
because the existing and proposed
requirements for shelter and indoor
space will ensure that these areas
accommodate the birds’ natural
behavior regardless of housing type. To
ensure that birds occupying the upper
levels would go outside, this proposed
rule would require that producers must
train birds to go outside, that exit areas
are of sufficient size and number to
facilitate easy exit and that there are
enticements in the outdoor areas to
attract birds outside. Finally, AMS
understands that aviary houses are not
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prohibited in other third party animal
welfare certification programs.
Livestock health care. AMS
considered the NOSB recommendation
to require livestock producers to use
homeopathic remedies or botanicals
before they could use appropriate,
synthetic medications. AMS is not
implementing this requirement because
of the potential that this could delay the
use of effective treatments for sick or
injured animals. AMS examined the
scientific basis for requiring
homeopathic remedies or botanicals and
found insufficient evidence that these
substances would be more effective than
conventional treatments to support a
blanket requirement for use. The NOSB
recommendation did not provide this
information. This does not impact an
organic producer’s ability to use
homeopathic remedies or botanicals on
livestock as long as they do not contain
unapproved synthetics or prohibited
naturals, such as, strychnine from Nux
vomica. However, if livestock are sick or
injured, organic producers must not
delay use of an appropriate medical
treatment by administering an unproven
remedy.
Slaughter performance standards.
The NOSB recommended a series of
performance standards for slaughter
facilities which would have required
extensive paperwork for the facilities.
However, considering the current
shortage of organic livestock slaughter
facilities, AMS is proposing the
requirements in this document with the
goal of limiting the burden on extant
organic slaughter facilities. AMS
regularly receives comments from
organic livestock producers about the
lack of availability of organically
certified slaughter facilities. Certified
organic livestock slaughtered in a noncertified slaughter facility cause the
resulting meat to lose organic status.
AMS consulted with FSIS about the
specific NOSB performance standards
and determined that most of these
additional requirements would be
duplicative. This duplication would
have increased the paperwork burden
and cost of inspection without
increasing animal welfare. AMS was
concerned that such an increased
burden with no increase in animal
welfare would further limit the
availability of certified organic slaughter
facilities. Below is a table listing some
of the NOSB recommended slaughter
performance standards and the
corresponding FSIS regulations.
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NOSB Recommendation or AMS preliminary draft proposed regulatory
text
Mammalian Slaughter
(1) Slaughter plants must have non-slip flooring .....................................
(2) Gates in the live animal area must swing freely, latch securely, and
be free of sharp or otherwise injurious parts. Gates are never to be
slammed on animals.
(3) Adequate lighting must be in place to allow animals to be easily observed.
(4) Livestock slips and falls must be scored in all parts of the facility including unloading areas, holding areas, chutes, stun box and the
stunning area. No more than 1 percent of livestock may slip and no
more than 1 percent of livestock may fall at any of the parts of the
facility.
(5) Humane treatment procedures for handling immobile and fatigued
animals upon arrival at the slaughter plant are in place. Handlers
may use sleds and place livestock in the bucket, but may not push
them up against a wall, gate, or any other object.
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(6) Electric prods are available if needed for human safety or for medical use, i.e., in an effort to save down animals. Prod use must stop
after three shocks interspersed with rest periods or if the animal
does not attempt to rise. Prods may never be applied to sensitive
parts of the animal: eyes, nose, ears, rectum, or reproductive organs.
Prods may not be used on animals less than twelve months of age.
(7) Plans for euthanasia of sick livestock must be described. Euthanasia must only be performed by trained personnel. Euthanasia
equipment must be properly stored at slaughter plants and maintained. Lists of all animal euthanized and the reason for euthanasia
must be maintained.
(8) No more than 3 percent of cattle vocalize as they move through the
restrainer, stunning box and stunning area. No more than 5 percent
of hogs squeal in the restrainer due to human provocation. No more
than 5 percent of livestock vocalize when a head holder is used during stunning or slaughter. No more than 1 percent of hogs vocalize
due to hot wanding. Electrodes must not be energized before they
are in firm contact with the animal.
(9) Conscious, sensible mammals must never be restrained by suspending them by their limbs. One hundred percent of animals are insensible prior to being hung on the bleed rail.
21979
FSIS Response
This provision is covered by 9 CFR 313.1(b)—Floors of livestock pens,
ramps, and driveways shall be constructed and maintained so as to
provide good footing for livestock. Slip resistant or waffled floor surfaces, cleated ramps, and the use of sand, as appropriate, during
winter months are examples of acceptable construction and maintenance.
This provision is covered by 9 CFR 313.1(a)—Livestock pens, driveways and ramps shall be maintained in good repair. They shall be
free from sharp or protruding objects which may, in the opinion of
the inspector, cause injury or pain to the animals.
This provision is covered by—9 CFR 309.1(a)—All livestock must be
examined and inspected on day of slaughter. This requires that lighting is sufficient for inspectors to easily observe the animals.
This provision is covered by—9 CFR 313.2(a)—Driving livestock from
the unloading ramps to the holding pens and from the holding pens
to the stunning area shall be done with a minimum of excitement
and discomfort to the animals. Livestock shall not be forced to move
faster than a normal walking speed.
Scoring provided for in FSIS Directive 6910.1—Acceptable-No falls;
Acceptable with reservations-less than 1 percent.
This provisions is covered by—9 CFR 309.3(e)—Non-ambulatory cows
are to be euthanized—). FSIS has proposed to require that non-ambulatory veal calves need to be euthanized. Other livestock are addressed in 9 CFR 313.2(d)—Disabled livestock and other animals
unable to move.
This provision is covered—9 CFR 313.2(b)—Electric prods, canvas
slappers, or other implements employed to drive animals shall be
used as little as possible in order to minimize excitement and injury.
Any use of such implements which, in the opinion of the inspector, is
excessive, is prohibited.
Scoring in FSIS Directive 6910.1.
This provision is covered by 9 CFR 309.13—Condemned animals are
to be killed by establishment and not taken into official establishment.
FSIS does not have a vocalization standard. Vocalization is only as
evidence that animal was not properly stunned in FSIS Directive
6910.1.
This provision is covered by—9 CFR 313.2(f)—Stunning methods approved in 313.30 shall be effectively applied to animals prior to their
being shackled, hoisted, thrown, cast, or cut. FSIS Directive 6910.1
Stunning efficacy must be 100 percent.
(10) One hundred percent of mammals are insensible prior to being This provisions is covered by—9 CFR 313.2(f)—Stunning method aphung on the bleed rail.
proved in 9 CFR313.30 shall be effectively applied.
This provision is also covered in FSIS Directive 6910.1—The DVMS is
to observe and verify that animals are unconscious and insensible
after stunning and throughout the process of shackling, hoisting, cutting, and bleeding.
(11) Ninety-five percent of cattle and sheep are effectively stunned with This provisions is covered by—9 CFR 313.15(a)(3), 313.16(a)(3),
one shot via captive bolt or gunshot. Ninety-nine percent of elec313.30(a)(3)—Requires that animal be in state of unconsciousness
trodes are placed correctly when livestock are stunned with electricity.
immediately after first stun. This provision is also covered in FSIS Directive 6910.1—Acceptable stunning is 100 percent. Acceptable with
reservations is effectiveness of greater than 99 percent but less than
100 percent.
(12) When carbon dioxide (CO2) or other controlled atmosphere stun- This provision is covered by 9 CFR 313.5.
ning systems, including gondolas or other conveyances for holding a
group of animals, are used, animals must be able to lie down or
stand without being on top of one another. When head to tail conveyor systems are used, this score may be omitted.
Avian Slaughter ........................................................................................ Avian slaughter is addressed in FSIS Directives 6100.3 and 6910.1.
Operations meet good commercial practices, 9 CFR 381.65(b).
(1) No lame birds may be shackled, hung or carried by their legs ......... This provisions is—included as Mistreatment of poultry, which is addressed in FSIS Directive 6100.3—establishment employees must
not mistreat birds or handling them in a way that will cause death or
injury or prevent thorough bleeding or result in excessive bruising.
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NOSB Recommendation or AMS preliminary draft proposed regulatory
text
(2) All birds shackled on a chain or automated system must be stunned
prior to exsanguination.
(3) All birds must be irreversibly insensible prior to being placed in the
scalding tank.
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS
Implementation. The provisions of
this proposed rule, except for the avian
outdoor space requirements in
§ 205.241(c), would be implemented one
year after the publication date of the
final rule. AMS chose a one-year period
for operations and certifying agents to
become familiar with the requirements
and make modifications to their
practices, e.g., updating organic system
plans, training staff.
AMS is proposing two distinct
implementation timeframes for the
avian outdoor space requirements. First,
three years after the publication of the
final rule any non-certified poultry
house or facility would need to comply
in order to obtain certification. This
would include facilities that are not
certified at the three-year mark, but
subsequently become part of a certified
operation. The three-year period would
allow producers to transition the
outdoor space to organic production.
Second, all poultry houses and
facilities certified prior to the three-year
mark would need to comply within five
years of the publication of the final rule.
AMS is choosing a five- year
compliance period to reduce the
economic burden on existing organic
producers, without unduly delaying the
implementation of practices for
improved animal welfare. As explained
in the Regulatory Impact Analysis, the
five-year period reflects the average time
remaining to fully depreciate an average
barn for laying hens. Since AMS expects
that the costs associated with this rule
will fall primarily on organic egg
producers, the five-year period will
allow the average producer to write off
the capital costs on their tax returns.
IV. Related Documents
Documents related to this proposed
rule include the Organic Foods
Production Act of 1990, as amended, (7
U.S.C. 6501–6522) and its implementing
regulations (7 CFR part 205). The NOSB
deliberated and made the
recommendations described in this
proposal at public meetings announced
in the following Federal Register
Notices: 67 FR 19375 (April 19, 2002);
67 FR 54784 (August 26, 2002); 67 FR
62949 (October 9, 2002); and 68 FR
23277 (May 1, 2003). NOSB meetings
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FSIS Response
This provisions is addressed in FSIS Directive 6910.1
This provisions is covered by 9 CFR 381.65(b)—Poultry must be
slaughtered in accordance with good commercial practices in a manner that will result in thorough bleeding of the carcasses and ensure
that breathing has stopped before scalding.
are open to the public and allow for
public participation.
AMS published a series of past
proposed rules that addressed, in part,
the organic livestock requirements at: 62
FR 65850 (December 16, 1997); 65 FR
13512 (March 13, 2000); and 71 FR
24820 (April 27, 2006). Past final rules
relevant to this topic were published at:
65 FR 80548 (December 21, 2000); and
71 FR 32803 (June 7, 2006).
A. Executive Orders 12866 and 13563
Executive Orders 12866 and 13563
direct agencies to assess all costs and
benefits of available regulatory
alternatives, and, if regulation is
necessary, to select regulatory
approaches that maximize net benefits
(including potential economic,
environmental, public health and safety
effects, distributive impacts, and
equity). Executive Order 13563
emphasizes the importance of
quantifying both costs and benefits, of
reducing costs, of harmonizing rules,
and of promoting flexibility. This
rulemaking has been designated as a
‘‘significant regulatory action’’ under
section 3(f) of Executive Order 12866,
and, therefore, has been reviewed by the
Office of Management and Budget
(OMB).
Need for the Rule
AMS is proposing this rulemaking to
maintain consumer confidence in the
high standards represented by the
USDA organic seal. Specifically, this
action is necessary to augment the
USDA organic livestock production
regulations with robust and clear
provisions to fulfill a purpose of the
OFPA, to assure consumers that
organically-produced products meet a
consistent and uniform standard (7
U.S.C. 6501). The added specificity
would further the process, initiated with
the enactment of OFPA, to develop
detailed standards for organic livestock
products.18 OFPA mandates that
18 The Senate report that accompanied the OFPA
legislations set the expectation for greater
specificity in the future for organic livestock
standards as the industry matured: ‘‘More detailed
standards are enumerated for crop production than
for livestock production. This reflects the extent of
knowledge and consensus on appropriate organic
crop production methods and materials. With
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detailed livestock regulations be
developed through notice and comment
rulemaking and intends for NOSB
involvement in that process (7 U.S.C.
6508(g)). In 2010, AMS published a final
rule (75 FR 7154, February 17, 2010)
clarifying the pasture and grazing
requirements for organic ruminants,
which partially addressed OFPA’s
objective for more detailed standards.
This present rulemaking would extend
that level of detail and clarity to all
organic livestock and ensure that
organic standards cover their entire
lifecycle.
AMS issued an administrative appeal
decision in 2002 that allowed the
certification of one operation that used
porches as outdoor access to protect
water quality. This Decision served to
address a fact-specific enforcement
issue. Some certifying agents used this
appeal decision to grant certification to
poultry operations using porches to
provide outdoor access. Thereafter,
certification and enforcement actions
have remained inconsistent and
contributed to wide variability in living
conditions for organic poultry, as well
as consumer confusion about the
significance of the organic label with
regard to outdoor access. In accordance
with OFPA, this proposed action will
clarify USDA statutory and regulatory
mandates and establish consistent,
transparent, and enforceable
requirements. Further, it will align
regulatory language and intent to enable
producers and consumers to readily
discern the required practices for
organic poultry production and to
differentiate the products in the
marketplace.
This proposed rule would add
requirements for the production,
transport and slaughter of organic
livestock. Most of these align with
current practices of organic operations
(e.g., prohibiting or restricting certain
additional research and as more producers enter
into organic livestock production, the Committee
expects that USDA, with the assistance of the
National Organic Standards Board will elaborate on
livestock criteria.’’ Senate Committee on
Agriculture, Forestry and Nutrition, Report of the
Committee on Agriculture, Forestry and Nutrition to
Accompany S. 2830 Together with Additional and
Minority Views, 101st Congress, S. REP. NO. 101–
357, at 289 (1990).
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physical alterations, euthanasia
procedures, housing for calves and
swine). The proposed provisions were
developed by the NOSB in
consideration of other animal welfare
certification programs, industry
standards, input from organic
producers, and input from public
comment.19 According to a survey by
the Organic Egg Farmers of America, 76
percent of organic egg production in the
U.S. participates in private animal
welfare certification programs.20
Therefore, AMS expects that many of
the requirements in this proposed rule
are already implemented and will not
produce significant costs. Producers
may incur some costs such as increased
paperwork (see the Paperwork
Reduction Act analysis below), building
additional fences, providing shade in
outdoor areas, or creating more doors in
poultry houses.
This proposed action includes
provisions to facilitate consistent
practices regarding stocking densities
and outdoor space at organic poultry
operations. The outdoor space issues are
divisive and controversial among
producers and other stakeholders, and,
therefore, the scope of this analysis
focuses on impacts to the organic
poultry sector. The current practices of
organic poultry operations to provide
outdoor access and minimum indoor
and outdoor space per bird vary widely.
This disparity causes consumer
confusion about the meaning of the
USDA organic label, threatens to erode
consumer confidence in the organic
label more broadly, and perpetuates
unfair competition among producers.
This rule would enable AMS and
certifying agents to efficiently
administer the NOP. In turn, the
consistency and transparency in
certification requirements will facilitate
consumer purchasing decisions.
Consumer surveys indicate the need
for more precise animal welfare
standards within the USDA organic
regulations. A 2014 Consumer Reports
Organic Food Labels Survey noted that
19 NOSB, December 2011. Formal
Recommendation of the National Organic Standards
Board to the National Organic Program, Animal
Welfare and Stocking Rates, Available at: https://
www.ams.usda.gov/rules-regulations/organic/nosb/
recommendations.
At the NOSB meeting in November 2010, the
NOSB explained how the recommended handling,
transport and slaughter provisions aligned with the
American Meat Institute’s animal handling
guidelines. These guidelines cover handling,
transportation and slaughter and are standard
industry practices. The transcripts from that
meeting are available at: https://www.ams.usda.gov/
rules-regulations/organic/nosb/meetings.
20 Organic Egg Farmers of America (OEFA),
Organic Poultry Industry Animal Welfare Survey,
2014.
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half of consumers believe that organic
chicken living space meets minimum
size requirements; 68 percent believe
there should be minimum size
requirements. Further, 46 percent
believe organic chickens went outdoors;
66 percent believe the chickens should
have gone outdoors.21 A second survey,
designed by the American Society for
the Prevention of Cruelty to Animals,
showed that 63 percent of respondents
believe that organic livestock have
access to pasture and fresh air
throughout the day and 60 percent
believe that organic livestock have
significantly more space to move than
non-organic animals.22
The majority of organic poultry
producers also participate in private,
third-party verified animal welfare
certification programs.23 These
certification programs vary in
stringency, particularly for outdoor
access requirements. Such widespread
participation among organic poultry
producers is evidence that consumers
want additional label claims to provide
information about animal welfare
practices. This proposed rule would
align consumer expectations and the
production practices required to make
an organic label claim regarding animal
welfare for poultry.
The broad latitude afforded by the
existing USDA organic regulations leads
to wide variance in production practices
within the organic egg sector (e.g., a
porch in contrast to extensive outdoor
area with diverse vegetation). These
differences are not discernable to
consumers through use of the USDA
organic label. Consumers are
increasingly aware of these varying
outdoor production practices and either
seek specific brands of organic eggs
based on information about living
conditions at individual farms, or seek
animal welfare labels in addition to the
USDA organic seal.
AMS believes that many livestock and
poultry producers would prefer to use
the organic label to convey information
about their practices to consumers.
While sales of organic products,
including eggs and poultry, continue to
increase annually, surveys designed to
measure consumer trust in the organic
label reveal consumer confusion about
the meaning of the label. A report on
organic food and beverage shoppers
states that one-third of the respondents
indicated that the term ‘‘organic’’ has no
21 Consumer Reports National Research Center,
Organic Food Labels Survey, March 2014.
Nationally representative phone survey of 1,016
adult U.S. residents.
22 This phone survey was administered to 1,009
adults in October 2013.
23 Organic Egg Farmers of America, 2014.
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21981
real value or definition.24 The study
concludes that consumers are confused
by the various marketing terms, such as
‘‘natural,’’ and advises organic brands to
convey more information to consumers.
AMS believes that in the context of
organic livestock and poultry
production, particularly egg production,
variations in practices result in
consumers receiving inadequate and
inconsistent information about livestock
products. This is supported by the
consumer survey results described
above. By establishing clear and
equitable organic livestock and poultry
standards, this rule would help organic
producers to more effectively market
their products. It would (1) provide for
consistent information to consumers
about animal living conditions to
distinguish organic products from
competing labeling terms in the market,
and (2) alleviate the need for multiple
certifications and eliminate duplicative
paperwork, on-site inspections and
additional costs.
In 2009 and 2011, the NOSB issued
recommendations, as authorized by
OFPA, for additional requirements to
support animal welfare. In the process
of developing these recommendations,
the NOSB consulted with and received
numerous public comments from
authorities in the fields of animal
welfare, consumers, livestock producers
and certifying agents. AMS developed
this proposed rule in response to the
NOSB recommendations and
stakeholder feedback.
This action also responds to the 2010
USDA Office of Inspector General (OIG)
audit findings of inconsistent
applications of the USDA organic
regulations for outdoor access for
livestock. OIG noted the absence of
regulatory provisions covering the
length (i.e., hours per day) of outdoor
access and the size of the outdoor area.
Among organic poultry producers, OIG
observed wide variation in the amount
of outdoor space provided. As
recommended by OIG, AMS published
draft guidance, Outdoor Access for
Organic Poultry, for public comment (75
FR 62693, October 13, 2010).25 The draft
guidance advised certifying agents to
use the 2002 and 2009 NOSB
recommendations as the basis for
certification decisions regarding outdoor
access for poultry. The draft guidance
informed certifying agents and
producers that maintaining poultry on
soil or outdoor runs would demonstrate
24 Mintel Group Ltd., ‘‘Organic Food and
Beverage Shoppers—US—March 2015.’’ March
2015.
25 The draft guidance was published on March 10,
2013 and posted on the NOP Web site.
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compliance with the outdoor access
requirement in § 205.239. However,
after extensive comments by producers,
certifying agents and other stakeholders,
including the request for rulemaking,
AMS determined to pursue rulemaking
to clarify outdoor access for poultry and
did not finalize the guidance.
Baseline
This baseline focuses on the current
production of organic eggs and the
market for this commodity. AMS used
multiple data sources, listed below, to
describe the baseline and inform our
assumptions for the cost analysis:
• 2011–2014 Organic Industry
Surveys, published by the Organic
Trade Association (OTA). The Nutrition
Business Journal conducts this annual
survey on behalf of OTA to summarize
market information and trends within
the organic industry across food and
non-food sectors.26
• 2014 Organic Survey, National
Agricultural Statistics Service (NASS).27
This survey reports acreage, production
and sales data for organic crops and
livestock.
• 2011 Organic Production Survey,
National Agricultural Statistics Service
(NASS).28 This survey reports acreage,
production and sales data for organic
crops and livestock.
• The National Animal Health
Monitoring and Surveillance (NAHMS)
2013 Layers study.29 This study
includes a section on organic egg
production in the U.S., which provides
an overview of various practices on
organic layer operations.
• AMS also used summary
information from the USDA Livestock,
Poultry and Grain Market News Service
(Market News) egg and broiler market
news reports from 2010 to 2014.30 31
• Organic Egg Farmers of America
(OEFA), Organic Poultry Industry
Animal Welfare Survey, 2014. OEFA
independently conducted and
submitted the results of a survey of
organic egg and broiler producers. There
were 157 survey responses, representing
8.33 million organic layers (77 percent
of organic production) and 12 million
organic broilers (62 percent of
production). The survey was distributed
to certified organic poultry producers in
July 2014.
• Egg Industry Center (EIC) Survey of
U.S. Organic Egg Production. EIC
independently conducted and
submitted this survey which was
distributed to organic egg producers
with at least 30,000 hens. Respondents
totaled 23, representing 5.07 million
hens.
• Economic Impact Analysis of
Proposed Regulations for Living
Conditions for Organic Poultry, Phase 3
Report by T. Vukina, K. Anderson, M.K.
Muth and M. Ball. This report, prepared
for the NOP, estimated the costs for
implementing the NOSB
recommendation on avian living
conditions. The analysis in this
proposed rule essentially updates and
expands the model used by Vukina et
al., to estimate current costs and
different producer response scenarios.
The Organic Egg and Poultry Market
According to the 2015 Organic Trade
Association (OTA) Industry Survey,
U.S. sales of organic food, fiber, and
agricultural products totaled over $39.1
billion in 2014, up 11 percent from
2013.32 Sales of organic eggs reached
$514 million in 2014, an increase of 17
percent over the previous year. This
sector has experienced continued
double-digit sales growth since 2010, as
shown in Table 2. In addition, the
average retail price for one dozen,
organic brown eggs has climbed 16.3
percent on average, each year between
2010 and 2014. The rate of growth may
be affected by several factors, including:
(1) The price gap between organic and
non-organic eggs based on the cost of
organic and non-organic feed—this may
slow or increase growth depending on
size of the gap; (2) factors other than
price driving consumer purchasing
decisions, e.g., concerns about
production practices; (3) competition
from cage-free labels; and (4) accuracy
in forecasting consumer demand.
In 2014, poultry sales ($453 million)
grew nearly 13 percent and accounted
for the greatest portion (60 percent) of
the organic meat, poultry and fish
market sector. As shown in Table 2,
annual sales of organic poultry have
climbed steadily since 2010, while retail
prices for organic boneless, skinless
breasts have fallen.33 In comparison to
beef, pork, and other meat products,
poultry faces fewer obstacles to growth
because feed for poultry is cheaper and
time to market is shorter.34
TABLE 2—ORGANIC EGGS AND BROILERS MARKET—RETAIL SALES
Subcategory
Year
Eggs .................................................................................................................
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Poultry ..............................................................................................................
26 Organic Trade Association (OTA)/Nutrition
Business Journal, 2014 Organic Industry Survey.
Nutrition Business Journal conducted a survey
between Jan 27, 2014 and April 5, 2014 to obtain
information for their estimates. Over 200 organic
firms responded to the survey. NBJ used secondary
data from SPINS, Nielsen, and IRI to supplement
the survey and build market statistics.
27 The 2014 Organic Survey is accessible at:
https://www.agcensus.usda.gov/Publications/
Organic_Survey/.
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514
439
375
319
266
453
401
367
331
2013
2012
2011
2010
a 2014
2013
2012
2011
28 The 2011 Organic Production Survey is
accessible at: https://usda.mannlib.cornell.edu/
MannUsda/viewDocumentInfo.do?
documentID=1859.
29 The NAHMS Poultry studies may be found at
the following link: https://1.usa.gov/1IkWw22.
30 USDA AMS LPS Market News (Market News)
2010–2014 Egg Market News report. Available on
the Market News Web site at: https://1.usa.gov/
1vlDNgy.
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Annual sales
(million $)
Percent
growth
17
16.9
17.5
20.2
10.4
12.9
9.3
10.8
12.5
Average retail
price b
(dozen eggs c/
boneless,
skinless
breast)
4.16.
4.16.
4.11.
3.90.
3.85.
7.37/lb.
7.20/lb.
7.38/lb.
7.49/lb.
31 USDA AMS LPS Market News (Market News)
2010–2014 Broiler Market News report. Available
on the Market News Web site at: https://1.usa.gov/
1uHsme1.
32 OTA, 2015 Organic Industry Survey.
33 Retail prices for organic whole fryers per pound
have fluctuated between 2010 and 2014, peaking in
2012 and falling the following two years.
34 OTA, 2010–2014 Organic Industry Surveys.
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TABLE 2—ORGANIC EGGS AND BROILERS MARKET—RETAIL SALES—Continued
Subcategory
Annual sales
(million $)
Year
2010
294
Average retail
price b
(dozen eggs c/
boneless,
skinless
breast)
Percent
growth
6.3
7.54/lb.
a
As of September 5, 2014.
b Based on supermarket advertised sale prices reported by AMS Livestock, Poultry and Seed Market News (see footnotes 19 and 20).
c Brown, Large, Grade A.
Table 3 shows the geographical
distribution of organic egg and broiler
production in the U.S., based on the
USDA 2014 Organic Survey. There are
an estimated 722 organic egg producers
and 245 organic broiler operations. Five
states are responsible for over one-third
of organic egg production. Pennsylvania
and California operations comprise only
7.5 percent of the total number of
organic poultry producers, but produce
35 percent and 32 percent, respectively,
of organic eggs. California also has 6.5
percent of U.S. organic broiler
operations, which produce about 54
percent of organic broilers. Conversely,
the production from states which report
higher numbers of broiler operations,
such as Wisconsin and Maine, is less
than 1 percent of production. Several
states do not report total production
volume for broilers to protect
confidentiality. Given these omissions,
the data does not provide details of
nearly 50 percent of state level
production of organic broilers.
TABLE 3—TOP STATES WITH ORGANIC EGG AND POULTRY OPERATIONS COMPARED TO PRODUCTION
Number of
organic egg
operations
Percent of US
organic egg
operations
Total
production
(dozens)
Percent of US
organic egg
production
722
334
97
74
55
54
54
........................
46.1
13.3
10.2
7.6
7.5
7.5
166,313,847
61,157,980
7,450,488
8,628,066
4,051,040
21,623,599
19,449,787
........................
36.7
12
14
7
35
32
Number of
organic broiler
operations
Percent of US
organic broiler
operations
Total
production
(birds)
Percent of US
organic broiler
production e
245
130
32
30
28
24
16
........................
53
13
12.2
11.4
9.8
6.5
Organic Eggs a
United States ...................................................................................................
Top 5 States c ..................................................................................................
Wisconsin .........................................................................................................
Iowa .................................................................................................................
Maine ...............................................................................................................
Pennsylvania ....................................................................................................
California ..........................................................................................................
Organic Broilers a
United States ...................................................................................................
Top 5 States c ..................................................................................................
Wisconsin .........................................................................................................
Pennsylvania ....................................................................................................
New York .........................................................................................................
Maine ...............................................................................................................
California ..........................................................................................................
43,255,401
d 23,319,734
21,104
N/A
N/A
23,134
23,275,496
........................
53.9
0
N/A
N/A
0
53.8
a Source:
National Agricultural Statistics Service, ‘‘2014 Organic Survey.’’
ranked by both number of farms and total production.
total does not include production for Pennsylvania and New York. The 2014 Organic Survey does not disclose the broiler production
data for those states. In order to protect confidentiality, any tabulation which identifies data reported by a respondent or allows a respondent’s
data to be accurately estimated is not disclosed.
e There were other states that had higher production than the states reporting in this table, but had fewer organic broiler operations. Kentucky
produced 27,685 broilers, but only had 7 organic broiler operations. Michigan produced 13,018 broilers, but had only 6 organic broiler operations.
c States
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS
d This
Alternatives Considered
AMS considered alternatives to the
proposed action. Specifically, AMS
reviewed options for indoor stocking
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density and outdoor space requirements
for layers and implementation
timeframes. For each alternative, AMS
examined how the provision aligned
with the animal welfare objectives
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supported by the organic community
and the potential costs and benefits to
organic producers. The options are
presented and discussed below.
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Federal Register / Vol. 81, No. 71 / Wednesday, April 13, 2016 / Proposed Rules
TABLE 4—INDOOR STOCKING DENSITY OPTIONS—LAYING HENS
Alternative
Basis
Option 1—Minimum of 2.0 ft2 per layer ...................................................
Consistent with the NOSB recommendation. This would provide more
space per bird than private animal welfare standards.
Provides increased space for birds while curtailing costs. On par with
most stringent private third-party animal welfare standard.
Consistent with current industry practice for many organic egg producers. Aligns with the majority of private third-party animal welfare
certification programs.
Option 2—Minimum of 1.8 ft2 per layer ...................................................
Option 3—maximum 3.0 to 4.5 lbs/ft2 depending upon the housing system.a (Proposed rule)
a This is equivalent to 1.0–1.5 ft2 per bird. The reasoning and method for converting to pounds per square foot is discussed in the preamble
section C for Avian Living Conditions.
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS
The NOSB recommended indoor and
outdoor space metrics for poultry as a
component of broad measures to
enhance animal welfare practices on
organic livestock operations. Citing
consumer demand for humane
treatment of livestock, the proliferation
of animal welfare certification labels,
organic standards of major trading
partners (e.g., Canada, the European
Union), and varying practices among
organic producers, the NOSB
determined it was necessary to set
maximum stocking densities for organic
poultry.35 The NOSB aimed to develop
stringent, comprehensive, and
consistent animal welfare requirements
for organic livestock and poultry
production that would meet consumer
demand and foster equitable
certification decisions and fair
competition among producers,
consistent with the objectives of OFPA.
The costs and benefits of the proposed
alternatives are discussed in more detail
in the next section below.
Indoor stocking density. AMS
considered a range of indoor stocking
densities, including 2.0 ft2/bird or 1.8
ft2/bird for all layer operations, or 1.0—
1.5 ft2/bird depending on the housing
system. The NOSB recommended a
minimum of 2.0 ft2 per hen indoors and
explained that the metric could be
adjusted during colder months to allow
producers to increase the density to
maintain heat in poultry houses. In
order to examine the difference in costs,
AMS also considered setting the indoor
stocking density at 1.8 ft2 to parallel the
most stringent indoor stocking density
of a private animal welfare certification
standard.
35 The European Union Organic Standards and
the Canadian Organic Regime Standards specify
indoor and outdoor stocking densities for various
types of livestock, including laying hens: 6 birds/
m2 indoors; 4 birds/m2 outdoors. After converting
the units for the stocking densities recommended
by the NOSB, the metrics are comparable to the EU
and Canada: the NOSB would require slightly more
space per bird indoors and slightly less outdoors.
This proposed rule would adjust the indoor
stocking density to allow more birds to occupy a
given unit of indoor area.
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AMS is not pursuing the 2.0 ft2/bird
or 1.8 ft2/bird options. The estimated
costs to implement a 1.8 ft2/bird indoor
stocking density range between $70
million to $260 million annually
depending on various producer
response scenarios.36 37 AMS
considered the estimated costs
associated with the alternatives for
reduced stocking densities would be
unduly burdensome on individual
organic egg producers and could cause
a sizeable reduction in the supply of
organic eggs. We believe that requiring
2.0 ft2 or 1.8 ft2 per bird would
adversely impact most organic egg
production and likely cause
approximately 80 percent of current
organic egg production to exit the
organic market. Reducing the number of
layers to comply with those stocking
densities would result in lost revenue
and increased marginal operating costs
from the reduced number of birds or
compel producers to incur high capital
costs for building additional housing to
accommodate existing production
levels.
AMS is proposing to set the indoor
stocking density based on housing
systems as follows: 4.5 lbs/ft2
(equivalent to 1.0 ft2 per bird) for
pastured poultry and aviary/multi-level
housing; 3.75 lbs/ft2 (1.2 ft2 per bird) for
poultry houses with slatted/mesh
flooring systems and 3.0 lbs/ft2 (1.5 ft2
36 AMS evaluated the costs for 4 different
producer response scenarios: (1) All producers
incur costs to maintain their current level of
production; (2) some producers maintain their
current level of production and some transition to
the cage-free egg production; (3) all producers
comply with the proposed rule by maintaining their
existing facilities (and reduce the number of birds
to meet the indoor stocking density); and, (4) some
producers comply by maintaining existing facilities
while other producers transition to cage-free egg
production. Producers who exit to the cage-free
market would be expected to have lower net
returns, compared to organic eggs, as discussed
below in the Costs section.
37 These cost were projected over a 10-year period
versus a 13-year period which was used for the
estimated costs for the proposed rule provided in
the section below. AMS used a 10-year period in
the initial cost estimates to compare various
alternatives.
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per bird) for poultry houses with floor
litter. These metrics are consistent with
the standards of a common third-party
animal welfare certification program.
We expect that most organic poultry
producers currently meet or exceed
those levels. This proposed rule would
require certain features for the housing,
including perches and flat roosts and
space for dust bathing and self-isolation.
These measures, in conjunction with the
stocking density, support the natural
behaviors and well-being of the birds.
The tiered indoor stocking densities will
foster a consistent level of poultry living
conditions. It would also ease any
disparate burden on producers in colder
climates while maintaining consistency
throughout the industry and meeting
consumer expectations for organic
poultry production.
Outdoor stocking density. The USDA
organic regulations require that
livestock have year-round access to the
outdoors, fresh air, direct sunlight and
shade (§ 205.239(a)). Other than
identifying circumstances when
livestock may be temporarily confined
(§ 205.239(b)), the regulations do not
provide details on the frequency or
duration of outdoor access or size of the
outdoor space. Outdoor access is
integral to organic production, and
consumers expect that it is standard
practice throughout the organic egg
sector. Notably, outdoor access is not
mandatory for all third-party animal
welfare certification programs. AMS is
proposing to set outdoor stocking
densities for poultry and to clarify
whether porches are acceptable for
outdoor access.
AMS is proposing that layers must
have a maximum of 2.25 pounds/ft2 in
the outdoor area.38 Under this proposed
rule, outdoor areas would need to be
large enough to hold all birds
simultaneously with a maximum of 2.25
pounds/ft2. This is consistent with the
38 As discussed above, this is approximately
equivalent to 2.0 square feet per bird. AMS changed
the units to pounds per square foot so that the
actual space per bird is similar across birds of
different species or breeds.
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Federal Register / Vol. 81, No. 71 / Wednesday, April 13, 2016 / Proposed Rules
NOSB recommendation for outdoor
stocking density.39 The NOSB selected
that minimum threshold to protect soil
quality and minimize parasite loads.
The NOSB also stipulated that
outdoor access areas be soil-based and
have at least 50 percent vegetation
cover. While AMS believes that
vegetation is an important feature to
encourage birds to use outdoor areas, we
are not proposing a minimum vegetation
requirement, as that may be difficult to
maintain in certain locations with drier
climates. However, AMS is proposing to
require enrichment of the outdoor space
which could be met with 50 percent
vegetative cover. This proposed rule
would require that the outdoor area
have at least 50 percent soil. Chickens
use soil for dust bathing, and this would
support the NOSB’s objective to
encourage birds to occupy outdoor
areas. This soil threshold would also
uphold consumer expectations for
outdoor access, while providing some
flexibility for operations which
currently have concrete or other
surfaces in the outdoor area. AMS did
not estimate the potential cost to
implement this proposed requirement
due to wide variability in the sitespecific conditions. AMS does make
assumptions about whether producers
have the adequate land base to
accommodate the outdoor stocking
density and we have estimated the costs
for obtaining needed land as discussed
below. However, even producers who
have the adequate land base may need
to modify that area (e.g, install fencing)
to provide access to the soil.
AMS considered proposing minimum
space requirements of 2.25 pounds/ft2 to
accommodate either 10 percent, 50
percent or 100 percent of layers in a
house to be outdoors at one time. AMS
examined the 10 and 50 percent
alternatives based upon information that
only a portion of a flock is outdoors at
any given time. Under the 10 and 50
percent scenarios, the maximum
stocking density would be exceeded
whenever more than 10 percent or 50
percent of the flock is outdoors. As an
example, in the 10 percent scenarios, if
20 percent of the flock was outside, then
stocking density would be effectively
reduced by 50 percent. Requiring the
outdoor space to accommodate only 10
percent of a flock would sanction the
39 The NOSB recommended a range of 2.0 ft2—
5.0 ft2 per bird in the outdoor areas, explaining that
a minimum of 5 ft2 would ensure the availability
of vegetation to birds during the growing season. As
discussed in the paragraph below, AMS is not
adopting a vegetation requirement for the outdoor
area. In addition, we believe that a minimum 5.0
ft2/bird outdoor stocking density would be
untenable because of the additional land needed.
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status quo, and operations which
provide the least amount of outdoor area
would be permitted to maintain those
conditions.
The monetary costs of a 10 percent or
50 percent alternative would be
substantially lower than the estimated
costs of the proposed rule. As discussed
below, the increased outdoor access
requirements for all birds drives the
costs of the proposed rule by reducing
production volume and increasing
operating expenses (land and feed).
Under these alternatives, most organic
producers would not need to acquire
additional land and birds would have
reduced exposure to predators and
parasites, However, selecting the lower
cost alternative would undermine the
preferences of many organic egg
producers and consumers; the success
of the organic label marketing program
depends upon practices which reflect
the preferences of the participants and
consumers who chose organic eggs in
the marketplace. Adequate outdoor
access is a core concern among organic
consumers; outdoor areas that
accommodate relatively few birds
would not align with consumer
expectations and would perpetuate an
uneven playing field among producers.
Further, the higher density may be
detrimental to soil quality and parasite
loads.
Requiring that the outdoor area
accommodate half of the flock would
not adequately provide for each bird to
have outdoor access with space to
express natural behaviors. This could
work as a disincentive for birds to go
outside and does not support the intent
of the USDA organic regulations that
livestock use outdoor areas. Further,
consumers expect all organic livestock
to have access to and use outdoor space,
and this approach could have unknown,
but likely negative, impacts on
consumer confidence in the organic egg
sector. Given the likelihood that more
than half of a flock would use the
outdoor area simultaneously and
consistently, we believe that resulting
crowding in the outdoor area from a
higher stocking density would
ultimately deter birds from occupying
the outdoor space. Together, the
proposed stocking density requirements
and the requirements for birds to be
outdoors at an early age, including that
these areas provide shade and soil
access, should encourage more than half
of the flock to regularly occupy this
space.
Porches as outdoor areas. AMS also
considered whether porches should
count as outdoor space. In general, a
porch is a screened-in area with a solid
roof overhead. AMS estimates that at
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21985
least 50 percent of organic egg
production comes from operations that
use porches exclusively to provide
outdoor access. The use of porches for
outdoor access on organic operations is
contentious. The practice of using
porches to provide outdoor access in
organic poultry operations gained
popularity following a 2002 AMS
administrative appeal decision which
allowed the certification of one poultry
operation planning to provide outdoor
access via porches. This appeal decision
was used by some poultry producers to
justify that porches may satisfy the
requirement to provide outdoor access
for poultry under the USDA organic
regulations. Organic production systems
utilizing porches to provide outdoor
access have increased since that time.
In 2011, the NOSB, with the support
of numerous producer and consumer
stakeholders, unanimously
recommended that enclosed, covered
porches should not be considered
outdoor access. Consistent with that
recommendation, this proposed rule
specifically defines ‘‘outdoors’’ to
exclude porches. The stipulation that
porches are not outdoor space is
consistent with the U.S. Food and Drug
Administration (FDA) position. In July
2013, FDA published draft guidance on
outdoor access under the FDA 2009
Prevention of Salmonella Enteritidis in
Shell Eggs regulations.40 The draft
guidance states that structures attached
to the poultry houses, such as porches,
would be subject to testing and
sanitizing in the same way as the actual
poultry house, while the ground and
other outdoor areas would not be
subject to those testing and sanitizing
requirements. Notably, FDA’s draft
guidance states that covered porches are
part of the poultry house.
Proponents of porches state that they
are essential for biosecurity to protect
poultry from predation and disease that
could result from contact with wild
animals or feces. However, producers,
consumers and other stakeholders who
oppose porches state that porches
provide a competitive advantage by
reduced mortality to predator loss and
decreased feed conversion rates (less
feed to produce a dozen eggs).
Opponents have challenged the
contention that porches are essential to
biosecurity, citing other disease control
methods, such as the removal of
vegetation directly outside the poultry
40 Draft Guidance for Industry: Questions and
Answers Regarding the Final Rule, Prevention of
Salmonella Enteritidis in Shell Eggs During
Production, Storage, and Transportation (Layers
with Outdoor Access) https://www.fda.gov/food/
guidanceregulation/guidancedocuments
regulatoryinformation/eggs/ucm360028.htm.
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Federal Register / Vol. 81, No. 71 / Wednesday, April 13, 2016 / Proposed Rules
house, the use of netting over outdoor
areas and placing footbaths at the
entrances to houses. Further, the
outbreak of Highly Pathogenic Avian
Influenza (HPAI) that began in
December 2014 in the U.S. was detected
in 211 commercial flocks, which are
primarily exclusively indoor operations.
HPAI was detected in 21 backyard
flocks which generally provide ample
outdoor access.41
AMS agrees with FDA that porches
are not outdoor space. They do not
provide contact with soil nor align with
consumer expectations and NOSB
recommendations for outdoor access.
Codifying the allowance of porches as
outdoor space in organic production
would not address the wide disparity in
outdoor access provisions within this
sector. This disparity leads to consumer
confusion about husbandry practices
and places some producers at a
competitive disadvantage, and thus
would not meet the OFPA’s intent to
assure consumers that organically
produced products meet a consistent
and uniform standard. AMS is
concerned that allowing porches as the
sole area for outdoor access could erode
consumer demand for organic eggs and
lead to an exodus of consumers and
producers for other labeling programs.
Furthermore, allowing porches to be
considered as part of an outdoor area
would not substantially mitigate the
estimated costs associated with the
proposed rule. In comparison to the
land area needed for outdoor access,
porches cover a small portion, so a
producer would still need to provide
access to land that extends beyond the
porch area.
AMS also considered allowing
awnings or overhangs which extend
from poultry houses to count as outdoor
areas. However, the distinction between
an awning versus a porch could be
confusing and present enforcement
challenges. Given the controversy with
the use of porches, AMS intends that
the regulations clearly prohibit porches
or a similar structure from being used as
outdoor space. Implementation period.
AMS also considered different
implementation periods of three, five
and ten years for the outdoor access and
outdoor stocking density requirements
for poultry in this proposed rule. In
determining the length of an
implementation period, we considered
cost mitigation and the urgency of
41 USDA APHIS reports and data can be found at
the following site: https://www.aphis.usda.gov/
aphis/ourfocus/animalhealth/animal-diseaseinformation/avian-influenza-disease/!ut/p/z1/04_
iUlDg4tKPAFJABpSA0fpReYllmemJJZn5eYk5hH6kVFm8X6Gzu4GFiaGPu6uLoYGjh6Wnt4
e5mYG7mam-l76UfgVFGQHKgIAz0VrTQ!!/.
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consumer expectations. For cost
mitigation, we reviewed the
depreciation rate and timeframe for
layer houses. The NAHMS 2013 Layers
study collected the age of houses on
organic operations with layers: Nearly
40 percent were nine years old or less.
AMS determined that the weighted
average age of aviary houses is 7.6 years
by using the midpoint of each survey
bracket (i.e., less than 5 years; 5–9 years;
10–19 years) and the percent of
operations in that bracket.42 The OEFA
survey reported that the average
depreciation rate for layer houses among
respondents was 12.5 years.43 The
difference between the depreciation rate
(12.5 years) and average age of organic
aviary layer houses (7.6 years) is
roughly 5 years. Therefore, a 5-year
implementation period would allow
organic egg producers, on average, to
recover the costs of a poultry house. At
that point, structural changes
necessitated by this rule would align
with scheduled maintenance or new
construction.
While we expect that organic egg
producers will bear a greater cost
burden for this proposed rule, this
implementation period should also
align with upgrades or new construction
for broiler houses. We note that 15
percent of broiler houses generally are 5
years old or less and have a depreciation
rate of 15 years.44 While organic broiler
houses are likely to be newer on
average, given that the NOP was not
established until 2002, we anticipate
that the majority of organic broiler
houses would be nearing the end of
useful life when this rule is
implemented.
AMS also considered a three 3-year
implementation period. This timeframe
42 AMS understands there was 39 percent
increase in the number of organic layers between
2013 and 2015 (3.2 million additional organic
layers), the highest increase since this information
was collected starting in 2007. While we expect that
additional aviary houses may have been
constructed to house the increase in the number of
layers, we did not factor that into the average age
estimate. If new organic aviary houses began
operation in 2013–2015, this would lower the
average age of organic aviaries.
43 The OEFA survey asked, ‘‘What is the
depreciation rate (as reported on Federal tax
Schedule F forms) of your poultry houses in years?’’
44 This reflects the percentage of broiler houses in
the U.S., not specific to organic operations that
were 15 years old or less in 2006. We applied that
proportion to this analysis because the population
of broilers has grown since that time, so houses that
were older than 15 years are likely to have been
upgraded or renovated in the interim. This data was
reported in MacDonald, James M. The Economic
Organization of U.S. Broiler Production. Economic
Information Bulletin No. 38. Economic Research
Service, U.S. Dept. of Agriculture, June 2008. The
depreciation rate was reported in the Organic Egg
Farmers of America Survey conducted in July 2014
and cited above.
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would align with the 3-year period that
is required to transition land to organic
production if there have been
applications of prohibited substances
(§ 205.202(b)).45 We believe that three
years would not provide sufficient time
for producers who need to expand the
outdoor access areas to acquire
additional land and potentially convert
that land to organic production. We
estimate that 45 percent of organic egg
production may need additional land to
meet the outdoor access requirements.
This short timeframe would impose an
unduly immediate cost burden and
deter producers from exploring options
to remain in organic egg production,
potentially causing a sharp reduction in
the supply of organic eggs.
Conversely, a 10-year implementation
period could erode consumer demand
for organic eggs if the organic label
requirements do not keep pace with
growing consumer preferences for more
stringent outdoor living conditions.
Prolonging the disparity in organic egg
production practices and the resulting
consumer confusion would be
detrimental to the numerous organic egg
producers who could readily comply
with this proposed rule. They would
continue to operate at a competitive
disadvantage to operations which
provide less outdoor access and have
greater feed efficiencies and lower
mortality rates.
A 5-year implementation period
would make these requirements more
feasible for a greater portion of organic
egg producers while keeping the organic
label competitive in regards to animal
welfare claims. We believe the 5-year
period would coincide with the timing
for retrofitting poultry houses in the
majority of organic operations,
regardless of this rule.
AMS is requesting comment on the
above assumption. Specifically, AMS
requests comments on:
• The age of poultry houses used for
organic egg production.
Consumer and Producer Responses as
Drivers of Benefits and Costs
Connections between costs and
benefits, on the one hand, and potential
producer and consumer responses, on
the other, are set out in the table below.
45 Section 205.202(b) of the USDA organic
regulations requires that land from which harvested
crops will be represented as organic must have had
no prohibited substances, as listed in § 205.105,
applied to it for a period of 3 years immediately
preceding harvest of the crop. Further, organic
livestock are required to have organically produced
feed (§ 205.237(a)).
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21987
Consumer, producer responses
Impacts
Producers change their practices to meet the
new, more stringent organic standards; consumers continue consuming organic agriculture products.
Producers discontinue (or avoid newly achieving) organic certification; consumers switch
from products meeting existing organic standards to non-organic versions of similar products.
Producers discontinue (or avoid newly achieving) organic certification; consumers switch to
dissimilar products.
Costs: Incremental cost of producing to new, more stringent organic standards, relative to existing organic standards.
Benefits: Incremental credence benefits of consuming products produced according to new,
more stringent organic standards, relative to existing organic standards.*
Cost savings: Incremental savings of producing with non-organic practices, relative to existing
organic standards
Benefits (reduced): Incremental credence benefits of consuming products produced according
to non-organic practices, relative to existing organic standards.*
Impacts (may be positive or negative): Incremental production costs, incremental credence
benefits, incremental non-credence attributes.
* The price premium that consumers are willing to pay for certified organic products correspond to benefits, as that term is used for purposes
of analysis under Executive Orders 12866 and 13563, only if organic production practices yield real improvements in areas such as animal welfare, human health or environmental outcomes.
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS
Benefits of the Proposed Rule
This proposed rule would bring
specificity and clarity to the regulations
relating to animal welfare practices for
organic livestock and poultry and
address the persistent requests to AMS
for further standards on living
conditions for organic livestock and
poultry. Greater clarity and specificity
will foster the uniform application of
the practice standards in organic
production, animal transport, and
slaughter. This, in turn, will maintain
consumer confidence driving organic
purchases. Organic products cannot be
distinguished from non-organic
products based on appearance;
consumers rely on process verification
methods, such as certification to a
uniform standard, to ensure that organic
claims are true. For this reason, organic
products have been described as
‘‘credence goods’’ in the economics
literature.46 47 Credence goods have
properties that are difficult to detect,
both before and after purchase. Organic
livestock products are an example of a
‘‘credence good’’ for which consistent
verification to a common production
standard across the sector supports
continued consumer confidence.
Ensuring the stability of consumer
confidence in the organic livestock
sector can also protect the confidence in
the organic label generally.
Consumers are increasingly interested
in the treatment of animals raised for
food, as evidenced by the proliferation
of animal welfare certification labeling
claims. This proposed rule would
46 Caswell, Julie A. and Eliza M. Mojduszka. 1996.
‘‘Using Informational Labeling to Influence the
Market for Quality in Food Products.’’ American
Journal of Agricultural Economics. Vol. 78, No. 5:
1248–1253.
47 Zorn, Alexander, Christian Lippert, and
Stephan Dabbert. 2009. ‘‘Economic Concepts of
Organic Certification.’’ Deliverable 5 for Project
CERTCOST: Economic Analysis of Certification
Systems in Organic Food and Farming. https://
www.certcost.org/Lib/CERTCOST/Deliverable/D11_
D5.pdf.
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ensure that organic producers are
equally competitive in this market and
would alleviate the need to pursue
additional certification to communicate
the use of strict animal welfare practices
to consumers. The existing animal
welfare certification programs have
varying requirements, even within
individual programs, creating a range of
standards in the marketplace.48 For
example, these programs may include
standards for pastured, cage-free and
free-range production. However, high
participation rates among organic
livestock and poultry producers in these
third-party animal welfare certification
programs indicates that the organic label
does not provide the level of
information consumers need to assess
whether a specific brand meets their
expectations for animal welfare
practices. We expect that private animal
welfare certification labels on organic
products serve as supplementary
information that provides consumers
with assurance of certain product
attributes, such as minimum space
requirements, which are not guaranteed
through organic certification.
Consumers who purchase these doubly
certified products would likely not be
satisfied with private animal welfare
certification alone because organic
certification addresses other unique
attributes they seek, e.g., animals
receive only organic feed.
Establishing clear practice standards
for organic products which meet or
exceed most of the private animal
welfare certification requirements
would foster a more efficient market for
organic products. Narrowing the range
of acceptable practices within organic
egg production would bolster consumer
48 The Humane Farm Animal Care program has
compiled a table comparing the requirements of
selected third-party animal welfare certification
programs for laying hens. This includes stocking
density and outdoor standards. The comparison
table is available at: https://certifiedhumane.org/
how-we-work/fact-sheet/.
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confidence in the information conveyed
by an organic label claim on these
products. As the requirements in this
proposed rule would meet or exceed
most of the private animal welfare
certification standards, we expect that
producers would find organic
certification sufficient and reduce
participation in other certification
programs. This would streamline the
business practices of organic livestock
producers by reducing redundant and
duplicative paperwork and verification
processes for organic certification and a
separate animal welfare certification.
Several studies show a correlation
between consumer preferences/demand
for products associated with higher
animal welfare standards and higher
price premiums. We believe these
studies may be applicable in predicting
consumer behavior in the organic egg
market, particularly for consumers who
regularly purchase organic eggs.
Sustained consumer demand for organic
eggs could mitigate some costs
associated with this rulemaking and
incentivize producers to comply with
this proposed rule and remain in the
organic market.
A study by Heng (2015) examined
whether consumers are willing to pay a
premium for livestock products
associated with improved animal
welfare.49 The results identified the
basic living needs of hens (including
providing outdoor access) as the most
important factors for their welfare. The
estimates also indicated that on average
consumers placed a higher value on
animal welfare issues than on potential
environmental issues in their egg
choices. In addition, the estimated
Willingness to Pay (WTP) parameters
suggested that consumers were willing
to pay a premium in the range of $0.21
49 Yan Heng, ‘‘Three Essays on Differentiated
Products and Heterogeneous Consumer Preferences:
The Case of Table Eggs’’ (Ph.D. diss., Kansas State
University, 2015).
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to $0.49 per dozen. Such premiums
could serve as an incentive for farmers
to pursue a labeling claim that signifies
improved animal welfare practices.
Another study by Heng et al., (2013)
estimated the values of certain attributes
of eggs, including outdoor access and
stocking density.50 51 This study
included a survey to assess general
perceptions of animal welfare.
Respondents with favorable perceptions
of pro-animal welfare products rated
cage-free and outdoor access as more
important factors affecting egg quality
than adjusting stocking density or not
inducing molting.52 WTP parameters
revealed that 89 percent of respondents
in one cohort were willing to pay a
premium of $0.25 per dozen for eggs
from hens given outdoor access; 11% of
those respondents were not willing to
pay a premium for outdoor access.53
These findings support AMS’ decision
to essentially keep indoor stocking rates
consistent with current practices and
focus on parity among organic egg
producers for meaningful outdoor
access. We believe that organic
consumers generally have high regard
for animal welfare-friendly products.
Therefore, we expect that focus on
parity will resonate positively with
consumer preferences for definitive
outdoor access practices for organic
50 Yan Heng, et al., (2013). Consumer Attitudes
toward Farm-Animal Welfare: The Case of Laying
Hens. Journal of Agricultural and Resource
Economics 38(3):418–434.
51 The study used 2 levels for outdoor access:
Access or none. The study used three levels for
stocking density: 67 square inches per bird (United
Egg Producers standards); 138 square inches
(average space needed for hens to fully stretch their
wings) and 1.5 square feet (third-party animal
welfare standards, e.g., Certified Humane and
Animal Welfare Approved).
52 Respondents were asked whether they agreed
that food products produced in an animal-friendly
environment are: From healthier and happier farm
animals, healthier for humans, better quality, better
for the environment, and taste better.
53 Respondents in this study were provided with
additional information about potential
environmental consequences of different
management practices to understand how
environmental concerns could influence
consumers’ valuation of layer management
practices. The additional information suggested that
cage-free and outdoor access systems could
contribute to poorer air quality and use more energy
to regulate temperatures. The $0.25 premium was
measured among the group that had the
environmental information. We believe this group
is more descriptive of organic consumers generally
because their purchases are driven by some
awareness of production practices underlying the
organic claim. The mean premium among
respondents without that information was $0.16 for
hens given outdoor access. Because the willingnessto-pay distributions for more outdoor access and
space shifted positively with the additional
information on potential environmental impacts of
different housing systems, the study noted that
consumer concerns for animal welfare issues
surmount environmental concerns.
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layers. Further, it will be associated
with a willingness to pay a premium for
more consistency and transparency in
how this practice is implemented.
Sumner et al., (2011) looked at the
potential market impacts of shifting egg
production from caged housing to
alternative noncage systems.54 The
authors note that the analysis could be
extended to other alternatives such as
free-range and pasture-based
production. While not focusing on
organic eggs, these results are
illustrative of the impacts of mandated
housing changes on supply and demand
for eggs.55 The research concludes that
farm price increases of 40 percent for
eggs would likely reduce consumption
by less than 10 percent. The authors
note that in the U.S., egg consumption
is relatively unresponsive to price
change and egg expenditures are a very
small share of the consumer budget.
Based on other research, the study
surmised that consumers are willing to
pay more for animal welfare-related
attributes (e.g., ample space per hen,
safe outdoor access) when they have
more information about the housing
systems. These results support the
expectation for consumer willingness to
pay for eggs perceived to be produced
using alternative housing. We believe
that the space and outdoor access
requirements in this proposed rule
would enable consumers to better
differentiate the animal welfare
attributes of organic eggs and maintain
demand for these products.
Chang et al., (2010) examined prices
for eggs with various labels about
production (e.g., cage-free, free-range,
organic) to assess how consumers value
certain product attributes.56 This study
noted that price premiums for cage-free
and free-range eggs are 56.7 percent and
87.5 percent higher, respectively, than
conventional egg prices (the price
premium for organic over conventional
was 85 percent). Free-range eggs are
distinguished from cage-free, for the
purposes of this study, by the provision
of outdoor access for the laying hens in
54 D.A. Sumner, et al., ‘‘Economic and Market
Issues on the Sustainability of Egg Production in the
United States: Analysis of Alternative Production
Systems’’ (Paper presented as part of the Poultry
Science Association Emerging Issues: Social
Sustainability of Egg Production Symposium,
Denver, Colorado, July 11–15, 2010).
55 Specifically, this study looks at four
parameters: Price elasticity of demand; willingness
to pay for price increases for eggs produced under
alternative housing systems; price elasticity of
supply; and, change in the marginal per unit cost
of production due to shifting to an alternative
housing.
56 Chang, Jae Bong, et al., (2010). The Price of
Happy Hens: A Hedonic Analysis of Retail Egg
Prices. Journal of Agricultural and Resource
Economics 35(3):406–423.
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free-range systems.57 This data
demonstrates that consumers value
living conditions that reflect improved
animal welfare for hens, even more so
when the birds are able to go outdoors.
Using predicted prices, this study
further estimates what portion of the
price premium can be attributed to egg
color versus production practice. The
study found that 58 percent and 64
percent of the price premium is
attributed to production practice rather
than egg color for cage-free and organic
eggs, respectively. Consumers of organic
eggs appear willing to pay higher
premiums for production practices than
consumers of other types of eggs. We
believe these findings could be
persuasive in an organic egg producer’s
decision to comply with this proposed
rule in order to remain in the organic
market.
In addition, informal national surveys
reveal consumer expectations that
organic eggs are produced from hens
with outdoor access. A 2014 Consumer
Reports Labeling Survey noted that 55
percent of consumers believe that the
organic label on meat and poultry
means that the animals went outdoors.58
Further, the survey measured that 72
percent of consumers believe the
organic label should mean that the
animals went outdoors. A second
survey, designed by the American
Society for the Prevention of Cruelty to
Animals, showed that 63 percent of
respondents believe that organic
livestock have access to pasture and
fresh air throughout the day and 60
percent believe that organic livestock
have significantly more space to move
than non-organic animals.59 This
proposed rule would align consumer
expectations and the production
practices required to make an organic
label claim regarding animal welfare for
poultry.
We expect that clear, consistent
requirements for avian living conditions
can sustain consumer demand and
support the growth in the market for
organic poultry products. Several
articles describe a positive association
between the establishment of uniform
regulation of product labels and
consumer confidence. Van Loo, et al,
(2011) asserts that uniform organic
standards and certification procedures
are essential to maintain consumer trust
57 The study notes that organic production
requires that hens be given outdoor access and
concludes that free-range can be synonymous with
organic.
58 Consumer Reports National Research Center,
Food Labels Survey, 2014. Nationally representative
phone survey of 1,004 adult U.S. residents.
59 This phone survey was administered to 1,009
adults in October 2013.
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in the validity of organic labels and
willingness to pay for such products.60
They found that the magnitude of
consumers’ willingness-to-pay for
organic chicken breast depended on the
type of organic label: A 35 percent
premium for general organic labeled
chicken breast versus a 104 percent
premium for a chicken breast labeled as
USDA certified organic. Smith (2009),
states that governmental regulatory
oversight of credence-type claims, such
as ‘‘organic,’’ can facilitate the
availability of improved information on
food quality, deter irresponsible
practices and provide a mechanism to
prosecute violations.61 Smith also
observes that governmental standards
can address the market failure
connected to uncertainty about product
quality and prevent consumer deception
and fraud. The prevalent participation
among organic poultry producers in
private animal welfare certification
programs demonstrates that the organic
certification does not provide the
quality assurances that consumers
expect for animal welfare attributes.
Adding specificity to the USDA organic
regulations for poultry living conditions
would fill that void and add stability to
a market sector that has widely varying
production characteristics.
In accordance with OMB Circular A–
4, the benefits of this proposed rule are
the real improvements in attributes (e.g.,
animal welfare) for organic poultry
products. Several recent consumer
surveys gauge consumer understanding
of the meaning of the organic label with
respect to outdoor access. These surveys
show that a higher proportion of
respondents believe that organic poultry
should have outdoor access than the
percent which believe that organic
poultry do have outdoor access.
To monetize the benefits, AMS is
using previous research that has
measured that consumers are willing to
pay between $0.21 and $0.49 per dozen
eggs for outdoor access.62 AMS
60 Van Loo, Ellen J., Caputo, Vincenzina, Nayga
Jr., Rodolfo M. (2011). Consumers’ willingness to
pay for organic chicken breast: Evidence from
choice experiment. Food Quality and Preference,
22(2011), 603–613.
61 Smith, G. (2009). ’’Interaction of Public and
Private Standards in the Food Chain’’, OECD Food,
Agriculture and Fisheries Working Papers, No. 15,
OECD Publishing. Retrieved from https://
search.proquest.com/docview/
189840535?accountid=26357.
62 Some quantity of organic egg production is
diverted to processed foods. Applying the outdoor
access price premium for table/shell eggs—which is
captured in Table 2—to organic eggs used in
processed foods introduces some uncertainty into
the benefits analysis; therefore, we request
comment on consumers’ willingness-to-pay for
outdoor access for hens laying eggs used in organic
processed foods.
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estimates the benefits by muliplying the
low ($0.21), mid ($0.35) and high
($0.49) points of that range by the
projected number (in dozens) of organic
eggs produced by layers that are
estimated to newly have outdoor access
as a result of this rule being
implemented.63 The National Animal
Health Monitoring Survey (NAHMS)
reports that 36 percent of organic egg
operations surveyed currently provide
at least 2 square feet per bird (equivalent
to 2.25 lbs/ft2) of outdoor space and 35
percent of hens have outdoor access via
a porch system or covered area; we do
not know what percentage of total
organic egg production this represents,
so we calculate benefits using a range
from 35 percent at the lower bound to
64 percent (= 100%¥36%) at the upper
bound, and request comment on how to
refine this aspect of the analysis.64 AMS
estimates that the annual benefits would
thus range between $14.7 million to
$62.6 million annually with a mean
value of $34.6 million over a 13 year
period.65 66 The estimated benefits
would not begin to accrue until the rule
is fully implemented beginning in year
6 (the proposed implementation period
is 5 years).
Costs of Proposed Rule
AMS considered various alternatives
for the stocking density and outdoor
space provisions for organic egg
production. AMS also considered how
these producers might respond to the
proposed stocking densities and outdoor
access requirements and how this
would impact the supply and demand
for organic eggs. AMS did not quantify
costs associated with some of the
63 AMS projects that the number of organic eggs
produced when this rule is fully implemented will
be 324,374,484 dozen. The organic egg supply
projections are discussed in the costs section below.
64 For the estimated costs, we assume that 45%
of organic layers do not comply with the proposed
outdoor access requirements and will newly have
outdoor access under the proposed requirements.
This is consistent with the estimated range of
organic poultry production that would newly have
access to the outdoors, which is used to calculate
benefits.
65 The 13 year period accounts for the time
needed to fully depreciate layer houses. We use a
13 year timeframe to align with the methodology
used to calculate the costs, below. The 13-year
average includes five years of zero benefits,
reflecting the five years before compliance with the
new, more stringent standard is required, and eight
years of positive benefits.
66 If there were a decrease in animal welfare
associated with producers switching from the
baseline level (considered organic under the current
standard) to the level provided under the cage-free
standard, a necessary next step in the benefits
calculation would be subtraction of the monetized
decline in welfare. However, given AMS’s
understanding of management practices, the agency
believes that there would be no such decline in
animal welfare associated with switching label
claims from organic to cage-free.
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21989
alternatives discussed above (e.g.,
requiring the outdoor areas to
accommodate a certain percent of the
flock, whether or not porches can be
considered outdoor space), but we
discuss the potential impacts of
different choices with respect to those
options. We do not expect the
mammalian health care and living
conditions sections, transportation, or
slaughter provisions to impose
additional costs, as we expect that these
sections will largely codify existing
industry practices. Therefore, we do not
project costs for the implementation of
those provisions. However, AMS is
requesting comments on any impacts of
those proposed requirements to check
that assertion.
Assumptions—Layers
To estimate the costs to comply with
minimum indoor and outdoor space
requirements for organic layers, AMS
made assumptions about the current
facilities and practices for organic egg
production. AMS is proposing indoor
stocking requirements that align with
the current practices in organic egg
production. Table 5 provides the
proposed indoor stocking rates by
housing type. AMS is aware that many
organic egg producers participate in
third-party animal welfare certification
programs, in particular, the Certified
Humane label program.67 The proposed
indoor stocking rates for layers match
the standards for the Certified Humane
certification program which has ample
organic producer participation across
various operation sizes and housing
types. Therefore, we believe that most
organic egg producers could comply
with the proposed indoor stocking rates
with minor or no changes to their
current operation.
The Humane Farm Animal Care
standards 68 for egg laying hens specify
minimum indoor and outdoor space
requirements for four types of housing
systems: Pasture-based (where birds
have unlimited access to pasture and
67 The Organic Egg Farmers of America (OEFA)
survey reported that 87 percent of organic egg
production is also certified to private animal
welfare standards. The survey results do not
indicate which animal welfare certification
programs organic egg producers participate in, but
AMS is aware that the Certified Humane label is a
common choice.
68 Producers who meet the Humane Farm Animal
Care (HFAC) standards, as verified through an
application and inspection, may use the Certified
Humane Raised and Handled logo. Participants are
inspected and monitored by Humane Farm Animal
Care. The minimum indoor and outdoor space
requirements cited here are published in the 2014
HFAC Standards for Production of Egg Laying Hens.
They are available at: https://certifiedhumane.org/
how-we-work/our-standards/. Accessed July 7,
2015.
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low outdoor stocking density,
approximately 40 ft 2 per bird); loosehousing systems, which include floor
litter and slatted/mesh floor systems
(both single-story houses) and aviaries
(multi-level platforms and perches).
AMS also estimated the distribution of
organic production among the housing
types as shown in Table 5.
TABLE 5—U.S. ORGANIC LAYERS BY HOUSING TYPE
Baseline
minimum
indoor space
(ft 2 per bird)
Housing system
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS
Pasture housing .......................................................................................................................................................
Floor litter housing ...................................................................................................................................................
Slatted/mesh floor housing ......................................................................................................................................
Aviary housing .........................................................................................................................................................
In this analysis, the outdoor space is
the key constraint that drives the costs
of complying with the proposed rule;
we are proposing an outdoor stocking
density of a maximum of 2.25 pounds/
ft2 for layers. Many organic poultry
producers currently provide an outdoor
stocking density of 2.25 pounds/ft2 for
layers. For these producers the proposed
maximum outdoor stocking density will
not pose additional costs. AMS assumes
that layer operations have the
equivalent of two layer house footprints
of outdoor space available for each
house. We considered that the land
available for outdoor access could be the
areas between and alongside of the
houses and extending from the ends of
the houses. For this analysis, we
assumed that pasture housing, floor
litter housing and slatted/mesh floor
housing systems collectively account for
50 percent of organic egg production
and either currently comply with the
outdoor space requirements or have the
land available to comply with the
proposed outdoor stocking rate without
significant changes to the number of
birds or facilities. AMS is not assuming
that all of these operations currently
provide outdoor access for layers at the
proposed stocking density, but that they
have the space available to do so.
Therefore, these operations could incur
costs for fencing, installing more exits,
and other measures to make the area
usable as outdoor space.
In addition to the above assumptions,
a few producer survey results are
notable. The National Animal Health
Monitoring Survey (NAHMS) reports
that 36 percent of organic egg operations
surveyed provide at least 2 square feet
per bird (equivalent to 2.25 lbs/ft2) of
outdoor space and 35 percent of hens
have outdoor access via a porch system
or covered area. We do not know what
percentage of total organic egg
production this represents. The EIC
survey reports that 15.5 percent of all
organic layers have at least 2.0 ft2
outdoors and access to soil; the OEFA
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survey, reports that 59 percent of
organic layers reportedly have at least
2.0 ft2 outdoors.
In this analysis, AMS postulates that
a producer will consider two options in
response to this proposed rule: (1)
Comply with the proposed rule and
remain in the organic egg market; or (2)
transition to the cage-free egg market.
Using those potential responses, AMS
constructed two scenarios to project
how the organic egg sector would
behave and estimated the costs for each
scenario. This section explains the
assumptions and variables used to build
our estimates.
AMS constructed enterprise budgets
for representative organic egg operations
by housing type (i.e., pasture housing,
slatted floor/mesh, floor litter housing,
aviary housing).69 For each
representative operation, we identified a
baseline cost structure which included
estimated fixed and variable costs to
determine the cost to produce one
dozen eggs. We then made assumptions
about how and if these values would
change under the proposed rule. The
fixed and variable costs are listed in
Table 6.
69 This analysis mirrors the cost estimation
methodology used by Vukina, et al., to prepare a
cost analysis for the National Organic Program on
implementing the National Organic Standards
Board recommendations on stocking densities and
outdoor access for organic poultry. Vukina et al.,
developed the baseline cost structure by
interviewing organic layer and broiler producers
and using existing literature. We have used most of
their assumed values for fixed and variable costs in
this analysis. The results of that analysis were
reported in the following articles: Tomislav Vukina,
et al., ‘‘Economic effects of proposed changes in
living conditions for laying hens under the National
Organic Program,’’ Journal of Applied Poultry
Research 23 (1) (March 2014): 80–93. Accessed
February 5, 2016. doi:10.3382/japr.2013–00834.
Also, Tomislav Vukina, et al., ‘‘Proposed changes in
living conditions for broilers under the National
Organic Program will have limited economic
effects,’’ Journal of Applied Poultry Research 23 (2)
(June 2014): 233–243. Accessed February 5, 2016.
doi:10.3382/japr.2013–00896.
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1.0
1.5
1.2
1.0
Percent of
U.S. organic
laying flock
10
10
30
50
TABLE 6—FIXED AND VARIABLE COSTS
FOR ENTERPRISE BUDGET
Fixed costs:
House
Composter
Equipment—total
Cooler
Generator
Outdoor space (Veranda, land, plus fencing and cover)
Organic Certification
Insurance (0.5% of the value of the assets)
Property tax (0.8% of the value of the assets)
Variable costs:
Pullets
Feed
Wood Chips
Utilities
Labor
Process and Packaging Fee
Manure cleanout
Miscellaneous
To complete the cost estimates for
complying with the proposed rule, AMS
employed the following basic
assumptions and values:
D Simple linear (straight line)
depreciation of assets with zero salvage
value.
D Annual opportunity cost of capital
of 3 percent.
D Homogenous labor hired at $13.25
per hour.70
D Price variability for inputs, e.g., feed,
pullets, according to the size of the
flock.71
70 Labor costs were estimated using data obtained
on hourly wages for farming, fishing, and forestry
occupations published by the Bureau of Labor
Statistics for states with high concentrations of
organic broiler and egg production. We calculated
an average hourly wage rate using wage rates from
eight states—California, Iowa, Massachusetts,
Michigan, New York, North Carolina, Oregon, and
Pennsylvania—resulting in an average hourly wage
rate of $13.25. Organic certification costs were
calculated as the average of California Certified
Organic Farmers (CCOF) and Iowa Organic
Certification Program posted fees for each organic
production sales range category.
71 AMS used the following estimates for birds
placed per cycle to calculate costs for the
representative operation for each housing type:
Aviaries—100,000 birds; slatted/mesh floor and
floor litter—16,000 birds; pastured—15,000 or less.
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D Feed costs per ton of $574 ($710 for
pasture operations).
D Lay rate (eggs/hen/year) of 308 (284
for pasture operations).
D Feed conversion rate of 4.0 pounds
per dozen.72
D Operations can purchase additional
land if needed.
D Annual rental rate per acre of land
of $177.73
D Building costs of $70 per hen.74
AMS assumed that the mortality rate
for hens would increase to 8 percent
from 5 percent if this proposed rule is
finalized.75 The increased mortality
would chiefly be attributed to increased
predation, disease and parasites from
greater outdoor access. Many organic
producers already provide outdoor
access that would comply with this
proposed rule and would not see
changes in mortality.
The proposed changes to the avian
living conditions, particularly outdoor
access, reflect the input of numerous
stakeholders, including producers and
consumers, on production practices that
would improve the overall quality of life
for birds. The NOSB also recognized
mortality rates as a key indicator of
animal welfare and important to the
economic viability of an operation. In
addition, the NOSB has discussed
specific practices to prevent and manage
predation and disease in a production
environment where outdoor access is an
integral part. These include predator
deterrents (electrified fencing, overhead
netting), rotation of land, well-drained
72 AMS estimates increased feed costs per bird
due to increased energy expenditure outdoors. We
project the feed conversion rate will move from the
baseline 3.8 pounds per dozen to 4.0 pounds per
dozen.
73 Prices for land were constructed based on
average real estate values for farm land per acre in
2014 (National Agricultural Statistics Service
[NASS], 2014). Land prices were calculated as the
average of the published land prices in the top five
states for organic egg production. The prices for
land in New York, Massachusetts, Michigan, North
Carolina, and California were averaged to obtain a
land price of $5,884 per acre. The annual rental rate
was obtained by multiplying the value of land with
the 3 percent interest rate, resulting in an annual
rate of $177 per acre.
74 This includes poultry houses, pullet housing,
processing equipment and infrastructure
improvement, but does not include costs to
construct a new feed mill. These costs are based on
information from organic egg producers for existing
housing costs.
75 The National Animal Health Monitoring
Survey Layers 2013, reports that about half of
organic egg producers have a 60-week mortality of
less than 4 percent. About 20 percent of organic egg
producers have a 60-week mortality of 7 percent or
higher. For the 10 percent of operations (pastured)
which we expect already comply with the proposed
requirements, AMS uses an estimated baseline
mortality rate of 10 percent. We do not expect that
the proposed requirements would affect that rate for
these types of operations that currently provide
ample outdoor access.
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soil, lower stocking density, and
selection of breeds that are suited to free
range conditions.76 While the tradeoff
between a higher mortality rate for
greater outdoor access generally reflects
the preferences of the organic
community, organic producers will be
required to use practices to effectively
minimize mortality and correct
excessive and preventable loss.
The key factors that influence the
enterprise budgets—and magnitude of
the impacts to operations—are feed
conversion rates, production volume
and cost of land. Under the proposed
rule, feed is the variable cost that would
shift most notably. The cost of feed
would increase due to lower feed
conversion as birds expend more energy
outdoors.77 Lower feed conversion plus
higher mortality would ultimately
reduce production volume, relative to
the baseline with the same number of
birds.
In regards to land, AMS assumes that
single-story housing systems (pasture,
floor litter and slatted/mesh floor
housing), have the land area to meet the
outdoor stocking density for their
current production. Aviary operations
would require a larger land area for
outdoor access than other housing types
because these are multi-level structures
that hold more birds than single-story
poultry houses. We assume that aviaries
have an indoor space roughly three
times larger than the footprint of the
barn. Therefore, aviary houses would on
average require the equivalent of six
house footprints of outdoor space to
meet the minimum outdoor space
requirement.78 Therefore, AMS assumes
that aviaries have the land base to
accommodate 33 percent of current
production at the proposed outdoor
stocking rates and would need to
acquire additional land. AMS calculates
that an aviary operation would need an
additional 3 acres of land per 100,000
birds.
In summary, the marginal cost to
produce one dozen eggs would increase
under the proposed rule for each type of
housing system except pasture. For floor
litter and slatted/mesh floor housing,
AMS estimates the marginal costs to
76 At its September 2012 meeting, the NOSB
discussed a guidance document for assessing
animal welfare of poultry. This included a
description of management practices that support
animal welfare and a target mortality rate of 3 to
5 percent.
77 In the enterprise budget, some of the variable
costs (labor, processing and packaging fee) would
decline slightly under the proposed rule.
78 Aviaries generally have two to four levels; for
this analysis we chose the midpoint—three levels.
Aviaries, while more prevalent in larger scale egg
operations, are also used for small and mid-size egg
laying operations.
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21991
produce one dozen eggs would increase
by 2.8%; for aviary systems those
marginal costs would increase by 3.3%.
The section below discusses how these
costs to individual operations will
impact the organic egg sector.
AMS is seeking comment on the
accuracy of the estimates concerning the
available land base for outdoor access
and the other assumptions made in the
cost analysis. Is the two house footprints
of outdoor space per layer house a valid
baseline assumption? How many
aviaries, and what proportion of organic
egg production, have available outdoor
space to comply with the proposed
outdoor stocking density?
Assumptions—Broilers
This proposed rule contains indoor
and outdoor space requirements specific
to broiler and other meat-type avian
species. Similar to organic egg
production, AMS expects that the space
requirements for broilers are the
provisions that would have cost
implications. This proposed rule,
consistent with the NOSB
recommendation, would set a maximum
of 5.0 lbs/ft2 for indoor and outdoor
stocking density for broilers. According
to the OEFA survey, 100 percent of
responding broiler operations
participate in private, third-party animal
welfare certification. In order to
estimate the potential costs to comply
with the stocking density, AMS made
the following key assumptions:
• AMS expects that 75 percent of
organic broiler production complies
with the proposed stocking densities.79
We assume that 25 percent of organic
broiler production meets a maximum of
6.5 lbs/ft2, for the indoor stocking
density. That metric is based on thirdparty animal welfare certification
programs which have high participation
rates among organic operations.80 For
79 The OEFA survey, representing 62 percent of
organic broilers, asked organic poultry producers
whether they could comply with a 2.0 ft2/bird
outdoor stocking density. According to the survey,
75 percent of organic broilers production could not
meet that stocking density. However, this proposed
rule would set the stocking density at 5.0 lbs/ft2.
Given that the average live weight for organic
chicken is 5.84 lbs, the survey effectively asked
whether broilers could comply with a 2.9 lbs/ft2
stocking density. Since that is significantly more
stringent than the proposed stocking density, we
expect that the percent of organic broiler
production which could comply is considerably
higher. Further, in the Economic Impact Analysis
of Proposed Regulations for Living Conditions of
Organic Poultry, Vukina et al., concluded that the
representative organic broiler operation provided a
4.275 lbs/ft2 and could meet the 5.0 lbs/ft2 indoor
stocking density.
80 The 6.5 lbs/ft2 is the midpoint indoor stocking
density between the Humane Farm Animal Care
standards for broilers (maximum 6.0 lbs/sq2) and
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Federal Register / Vol. 81, No. 71 / Wednesday, April 13, 2016 / Proposed Rules
this analysis, we use 5.37 lbs/sq ft,
indoors and outdoors, to represent the
baseline stocking density for organic
broilers generally. This is the weighted
average of the range of current practices
based on the assumptions described
above.
• Operations which can meet the
proposed indoor stocking density can
also meet the outdoor stocking density.
We expect that the land area around a
broiler house is equivalent to the
footprint of two broiler houses. Since
broilers are not housed in multi-level
aviaries like laying hens, the outdoor
space could accommodate the same
number of birds at the indoor stocking
density.81
• The current, annual organic broiler
production is roughly 16 million birds
and the average live weight of organic
broilers at slaughter is 5.84 pounds.82
• An organic broiler house will have
6 production cycles per year; each cycle
is 6–8 weeks long.83
In addition, we applied the same
assumptions for layers, specifically
mortality rates, depreciation of assets,
property tax, labor, insurance, etc., to
the cost estimates for broilers.
Cost Estimate for Organic Egg and
Poultry Production
with the proposed rule and continue
organic egg and poultry production. The
projected net returns shown in Table 7
support this projection; under the
proposed rule the net returns for organic
eggs will exceed the net returns of
selling to the cage-free market. Table 7
shows the difference in net returns per
100,000 dozen eggs for organic eggs
under the current USDA organic
regulations and the proposed rule, and
for cage-free eggs. The net returns vary
based on housing systems, i.e., aviary
and single-storyhouses.
AMS assumes that in response to this
proposed rule, affected producers will
make operational changes to comply
TABLE 7—COMPARISON OF NET RETURNS BY LABEL CLAIM 84
Net return
($)—Aviaries
Label claim
Certified Organic—Current Baseline .......................................................................................................................
Certified Organic (as proposed)— ...........................................................................................................................
Cage-Free ................................................................................................................................................................
a All
26,482
19,779
7,262
Net return
($)—Singlestory houses
21,190
14,109
949
values in table are per 100,000 dozen eggs.
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS
AMS assumes that producers would
maintain their current level of
production (i.e., the same number of
layers) and would seek additional land
to meet the proposed outdoor stocking
density. The estimated total costs for the
organic egg sector are the sum of
increased operating expenses and
reduced production. AMS is calculating
the costs over a 13-year timeframe. AMS
believes that during this period, existing
organic layer houses would fully
depreciate. AMS understands that
producers may have other assets, such
as land, feedmills, equipment, which
are integral to their organic operation
and will not have fully depreciated
during the 13-year period. We have tied
the costs to the house because this
investment requires the most capital.
The methodology just described
reflects an assumption that costs accrue
only to legacy organic producers. As
example for which this assumption
seems plausible, consider a producer
with a fairly new house, located in a
spot without open land; such a producer
would likely choose to switch to cagefree eggs until the time when the house
gets close to needing replacement, and
then might build the new house at a
location spacious enough to allow for
organic production. The costs (i.e.,
consumer and producer surplus losses
of cage-free relative to organic)
associated with this type of case would
decrease over time. For this reason, the
lower bound cost estimates presented
below decline linearly over time, with
estimates approaching zero by year 14.
On the other hand, a cost category such
as increased bird loss due to predation
is an inherent aspect of conformance to
the proposed higher organic standard; it
will not decline to zero at any point in
the future. The upper bound cost
estimates presented below, for which
estimates (other than the upfront land
expenditure of $1.1 million) are the
same from one year to the next, reflect
an assumption that this type of cost is
predominant.
There are no outdoor space costs for
the first five years because layer
operations would not be required to
make any changes to the outdoor space
during that time period.
As discussed above, the operating
expenses for most organic egg
operations will increase chiefly due to
higher feed costs, because of decreased
feed efficiency, and the purchase of
additional land. There may be added
costs for maintenance of outdoor areas
(e.g., fencing); however we have not
quantified these costs due to wide
variability in site-specific conditions.
The one-time expenditure for the
purchase of additional land is projected
to be about $1.1 million for the organic
egg sector.
The reduced volume of eggs going to
the market due to higher mortality and
decreased lay rate and feed conversion,
all associated with more outdoor access,
will also lower net returns. In Table 8,
AMS estimated how the proposed rule
would affect total egg production while
holding the layer numbers constant for
each housing type.
the American Humane Association standards for
broilers (maximum 7.0 lbs/sq2).
81 Vukina et al., also assumed for their analysis
that the representative broiler producer is in a
position to buy or lease one acre of additional land
to expand outdoor access and meet the proposed
stocking density.
82 The AMS Livestock, Poultry and Grain Market
News Report, Weekly USDA Certified Organic
Poultry and Eggs, is available at: https://
www.ams.usda.gov/market-news/organic-marketnews-reports. AMS Market News reported that 16
million organic broiler chickens were slaughtered
under Federal Inspection in 2014.
83 A 6 week production cycle is more common.
84 The net return estimates use the following data
values/sources: (1) Wholesale value of organic eggs
($2.64/dozen) and wholesale value of cage-free eggs
($1.65/dozen). These are the values reported to
AMS Market News for Free on Board organic and
cage-free eggs in June 2015. (2) We assumed that
20% of the eggs would go the breaker egg market
priced at $1.00/dozen. This is the price reported to
AMS Market News in 2015.
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TABLE 8—PROPOSED RULE IMPACT ON maintain their current facilities and
ORGANIC EGG PRODUCTION BY reduce the number of birds, if needed,
in order to comply with the proposed
HOUSING TYPE
Housing type
Pasture ....................................
Floor litter ................................
Slatted/mesh floor ...................
Aviary ......................................
Difference in
total egg production after
rule (percent
decrease) a
No change.
1.5
1.5
1.5
a AMS estimated how the proposed rule
would affect total egg production while holding
the layer numbers constant for each housing
type.
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS
For the organic egg sector, AMS
estimates that the costs of this proposed
rule will average $6 to $17 million
annually. The compliance costs that
would occur in year 1 if the entire
industry had to comply (and each other
year, for the upper bound estimates) is
$28.2M. For the lower bound estimates,
in each year, compliance costs decline
by 1/13 until they reach zero in 2014.
No costs are incurred during the first 5
years due to the 5 year implementation
period for outdoor space requirements.
By year six, 5/13ths of the layer barns
will have been fully depreciated based
on federal tax returns. Thus, the lower
bound compliance costs incurred are
reduced by 5/13ths ($10.8 million) to
exclude all compliance costs from the
barns which are fully depreciated prior
to implementation of the outdoor space
requirements. Lower bound costs
reported are reduced by 1/13th each
additional year until costs reported
would reach $0 in year 14.
For this analysis, AMS assumes that
organic broiler producers would also
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stocking densities and remain in the
organic market. In this scenario,
producers would incur some increased
expenditures, linked to increased feed
costs and reduced feed efficiency, and
reduced production. In addition, AMS
estimates that the organic broiler flock
(16 million birds) would be reduced by
7 percent, or 1.18 million birds to
comply with the proposed indoor
stocking density. Estimated costs to
producers in each of the years after
compliance with the rule is required
will exceed the projected annual
average. For the lower bound, AMS is
reducing the actual costs (e.g., lost
revenue) from lower production by 1/
13th each year throughout the 13-year
period.85 In summary, the total costs
AMS is reporting for organic broiler
production is estimated to average
between $3.4 and $6.8 million annually.
The compliance cost would be in the
first year (year 1) if the entire industry
had to comply. For the lower bound,
costs are reduced by 1/13 of that cost
every year until they reach zero in year
14. No costs are incurred during the first
year due to the 1 year implementation
period for indoor access requirements.
By the 2nd year, costs reported are
reduced by 1/13th ($563,000) to $6.8
million because 1/13th of the barns will
have fully depreciated. Costs reported
are reduced by 1/13th each additional
year until costs reported would reach $0
in year 14.
In summary, the total reported costs
for the organic egg and poultry sector
are estimated to average $9.5 to $24.1
million annually. AMS estimates that
the increased operating costs and lost
revenue from decreased production
volumes would result in a 3.63 percent
increase in the break-even price for one
dozen organic eggs ($2.31 to $2.39 per
dozen). AMS expects that some organic
egg and broiler producers may face
additional costs for building new fences,
providing shade in outdoor areas, or
creating more doors in poultry houses.
We have not quantified these costs due
to the wide variability in baseline
conditions and potential changes based
on the suitability to site-specific
conditions.
85 It is not standard practice to categorize lost
revenue as a cost in a society-wide cost-benefit
analysis. Instead, costs should be calculated as lost
producer and consumer surplus (that is, the
difference between the amount consumers would be
willing to pay for the relevant consumption units
and the marginal cost of producing those units,
summed across the units that are no longer traded
in the market). We request comment that would
allow for revision of the analysis along these lines.
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T abl e 9 E sf1mat ed cost s flor or game egg an d ooult sect or- flll compliance.
rrv
u
r
Year
Broilers
Layers
Total
$7,324,000a
1
$28, 160,000
$0
2
$6,760,000 to
$25,994,000 to
$6,760,000 to
$7,324,000
$28, 160,000
$7,324,000
$23,828,000 to
$6,197,000 to
3
$6,197,000 to
$7,324,000
$28, 160,000
$7,324,000
$21,662,000 to
$5,634,000 to
4
$5,633,000 to
$7,324,000
$28, 160,000
$7,324,000
$19,495,000 to
$5,070,000 to
5
$5,070,000 to
$7,324,000
$28, 160,000
$7,324,000
$17,329,000 to
$21,836,000 to
6
$4,507,000 to
$7,324,000
$28,160,000
$35,484,000
$15,163,000 to
$19,107,000 to
7
$3,944,000 to
$7,324,000
$28,160,000
$35,484,000
$12,997,000 to
$16,377,000 to
8
$3,380,000 to
$7,324,000
$28,160,000
$35,484,000
9
$2,817,000 to
$10,831,000 to
$13,648,000 to
$7,324,000
$28,160,000
$35,484,000
10
$2,253,000 to
$8,664,000 to
$10,918,000 to
$7,324,000
$28,160,000
$35,484,000
11
$1,690,000 to
$6,498,000 to
$8,189,000 to
$7,324,000
$28,160,000
$35,484,000
12
$1,127,000 to
$4,332,000 to
$5,459,000 to
$7,324,000
$28,160,000
$35,484,000
13
$563,000 to
$2, 166,000 to
$2,730,000 to
$7,324,000
$28,160,000
$35,484,000
$6,086,000b to
13 year
$3,380,000 to
$6,761,000
$17,329,000
average
$9,466,000 to
$24,090,000
$79,115,000 to
$123,059,000 to
$43,943,000 to
$87,888,000
$225,280,000
$313,168,000
TOTAL
Impact of Egg Operations Leaving
Organic Production
Alternatively, some organic egg
operations may consider leaving organic
production for the cage-free market.
AMS estimates that up to 90 percent of
organic aviaries may transition to cagefree egg production due to marketing
opportunities and challenges of
complying with the outdoor space
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requirements.86 Our assumptions about
land availability, described above, and
the projected net returns for organic
86 AMS based this assumption on a review of
Organic System Plans for organic egg operations
which have more than one level of living space and
at least 16,000 hens. We set this criteria to capture
aviaries. We reviewed 62 OSPs to visually gauge
whether the land area adjacent to the houses could
be sufficient to comply with the proposed outdoor
stocking density.
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eggs and cage-free eggs informed our
prediction of how organic producers
may respond. We expect that 90 percent
may overestimate that proportion of egg
production that might exit the organic
market and seek data to refine this
estimate.87 The estimated 90 percent of
87 For clarification, ‘‘exit’’ is used in this analysis
to indicate that producers would leave the organic
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a The amounts in the shaded areas were not included in the totals because producers
would not need to comply with the rule during these years. They are provided here to
show how the costs were calculated. The values listed in year 1 are the full compliance
costs for broilers in year 2 (when the rule becomes effective) and layers in year 6 (after
the implementation period). For the lower bound estimates, these amounts were reduced
by 1/131h each year.
b This includes a one-time land cost of $1.1 million which was not depreciated.
Federal Register / Vol. 81, No. 71 / Wednesday, April 13, 2016 / Proposed Rules
organic aviaries that do not have the
land available would need to reduce the
number of birds to meet the proposed
stocking density. That reduced
production volume would result in
significant net loss and would not be
economically viable. Therefore, we
project that this production, which
accounts for 45 percent of organic egg
production, would likely transition to
the cage-free egg market. As shown in
Table 7, these producers would be able
to sell their eggs as cage-free which has
a lower cost of production but also
lower premiums compared to the
organic egg market.
For this analysis, we estimate the
foregone profit as the difference in net
returns for cage-free and organic eggs for
a 13 year period. This accounts for the
time needed to fully depreciate layer
houses. Reported profit effects are
decreased by 1/13th each year. We
estimate that in aggregate producers
who cannot comply with the reduced
outdoor space requirements and move
to cage free production would have
reduced net revenues of $27 million in
the first year that the rule is fully
implemented. However, by year six, 5/
13th of these aviary layer barns would
have been fully depreciated, so none of
these costs incurred are included in this
proposed rule. In year six, 5/13ths of
actual costs are removed leaving a
reported cost of $16.6 million. Each
subsequent year, an additional 1/13th of
the actual costs are removed until
asabaliauskas on DSK3SPTVN1PROD with PROPOSALS
market but would continue to produce eggs or
poultry for the conventional market.
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reported profit effects reach $0 in year
14. We estimate that the foregone profit
from the transition to the cage-free egg
market would total $216 million of
which AMS is reporting in this analysis
$74.1 million, averaging $5.7 million
over 13 years.88
These profit effects encompass real
costs and cost savings, such as the
savings resulting from a switch from
organic feed to less expensive
conventional feed; however, the highestmagnitude aspect of the profit effect is
very likely the non-collection of the
differential price premiums for organic
eggs relative to cage-free eggs. As
discussed previously, consumers pay
this premium largely because they place
a value on laying hens having access to
the outdoors. However, the exiting
producers have not been giving their
animals sufficient access to the
outdoors, so the non-payment of these
price premiums does not correspond to
changes in costs (e.g., the costs of
providing outdoor access) or benefits
(e.g., the value of animal welfare)
because the outdoor access availability
is the same with the cage-free
production option as it is in the
baseline. As such, in the context of a
society-wide cost-benefit analysis, the
price payment effect associated with a
switch to cage-free label claims—and,
by extension, most of the overall net
profit effect—would be categorized as a
transfer of value from egg producers to
egg consumers.
88 Total costs incurred for the egg producers who
move to the cage-free market are $216 million
($26,966,000 per year over 8 years).
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To complete the estimate for this exit
scenario we assume that organic egg
producers, including the 10 percent of
organic aviaries that do not exit to the
cage-free market, have the land base to
meet the proposed outdoor access
requirement and will maintain organic
egg production. As described in the
above scenario, these producers will
incur increased expenses for higher feed
costs due to decreased feed efficiency
and maintenance of outdoor access
areas (e.g., fencing). In addition, we
expect that aviaries will need additional
land to comply with the outdoor
stocking density and will face increased
annual rent for land. These organic
producers would also experience
reduced profits resulting from decreased
lay rate and higher mortality with
increased outdoor access.
Estimated costs of complying with the
proposed rule, for those producers who
do not transition to cage-free, will
average $6.3 to $21.5 million annually
for 13 years. Transfers associated with
the switch to cage-free (by some, but not
all, producers) average $5.7 million over
that time horizon. Table 10 shows how
these estimated costs and transfers are
distributed over 13 years. Note that the
upper bound costs in the laying hens
column increase over time, as producers
who temporarily exited organic
production in favor of cage-free expand
their production space so as to allow
them to satisfy the proposed higher
organic standard and they thus incur
higher costs (e.g., due to greater
predation).
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Table 10. Estimated cost and transfers (foregone profit) for organic egg and poultry
.
.
pro ductwn- most av1anes exit.
Year
Cost: Broilers
Cost: Layers
Transfers: Layers
Cost: Total
(stay in organic
(exiting the
production)
organic market)reduced returns
$7,324,000a
$0
1
$26,966,000 a
$13,770,000
2
$6,760,000 to
$12,711,000 to
$6,760,000 to
$7,324,000
$14,969 000
$24,892,000
$7,324,000
3
$6,197,000 to
$11,652,000 to
$6,197,000 to
$7,324,000
$16,168,000
$22,817,000
$7,324,000
4
$5,634,000 to
$10,592,000 to
$5,634,000 to
$7,324,000
$20,743,000
$7,324,000
$17J67 000
$9,533,000 to
$5,070,000 to
5
$5,070,000 to
$7,324,000
$18,566,000
$18,669,000
$7,324,000
6
$4,507,000 to
$8,474,000 to
$12,981,000 to
$7,324,000
$19,765,000
$16,594,000
$27,089,000
7
$3,944,000 to
$7,415,000 to
$11,359,000 to
$7,324,000
$20,965,000
$14,520,000
$28,289,000
$6,355,000 to
$9,735,000 to
8
$3,380,000 to
$12,446,000
$29,488,000
$7,324,000
$22, 164' 000
$5,296,000 to
$8,113,000 to
9
$2,817,000 to
$7,324,000
$23,363,000
$10,371,000
$30,687,000
$4,237,000 to
$6,490,000 to
10
$2,253,000 to
$7,324,000
$24,562,000
$8,297,000
$31,886,000
11
$1,690,000 to
$3,178,000 to
$4,868,000 to
$7,324,000
$25,761,000
$6,222,000
$33,085,000
$2,118,000 to
$3,245,000 to
12
$1,127,000 to
$7,324,000
$26,960,000
$4,149,000
$34,284,000
13
$563,000 to
$1,059,000 to
$1,622,000 to
$7,324,000
$28,160,000
$2,074,000
$35,484,000
$5,744,000
$6,313,000 to
$2,933,000 to
13 year
$3,380,000 to
$6,761,000
$14,746,000
$21,507,000
average
$43,943,000 to
$87,888,000
$38,133,000 to
$191,700,000
$74,675,000
$82,076,000 to
$279,588,000
a The amounts in the shaded areas were not included in the totals because producers
would not need to comply with the rule during these years. They are provided here to
show how the costs were calculated. The values listed in year 1 are the full compliance
costs for broilers in year 2 (when the rule becomes effective) and layers in year 6 (after
the implementation period). These amounts were reduced by 1/131h each year.
Impact on Organic Egg Supply
AMS has also considered the impact
of the proposed rule on the organic egg
supply if 90 percent of organic aviaries
exit the organic egg market. We are
using the number of layers as an
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indicator of organic egg supply. The
number of organic layers grew 12.3
percent annually from 2007–2015.89 We
expect that this growth rate will not be
sustained and project that the number of
organic layers will grow 2 percent
89 USDA Livestock, Poultry and Grain Market
News, 2015. This is the compound annual growth
rate from 2007 to 2015. The growth from one-year
to the next could have been higher or lower than
the 12.3 percent average.
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21997
nonorganic layers between 2007 to
2015.90 Figure 1 shows the projected
growth trajectory for each producer
response scenario.
We estimate that up to 90 percent of
organic aviaries could exit to the cagefree market. In this case, we expect that
the number of layers would drop by 43
percent relative to peak production.
Peak production would occur 5 years
after publication of the final rule and
the drop in production would occur 6
years after publication when the rule
must be fully implemented. After the
projected decline, AMS expects that the
organic layer population would resume
growth at the 2 percent annual rate. This
is likely a conservative estimate as
unmet consumer demand for organic
eggs would be an incentive for
operations to enter organic egg
production and for existing organic
operations to expand. Assuming that all
organic producers comply with this
proposed rule and maintain organic
production, we expect that the number
of organic layers will grow 2 percent
annually throughout and after the
implementation period.
AMS is proposing that the final rule,
except for the avian outdoor access
provisions, be implemented one year
after publication. The avian outdoor
access provisions would be
implemented in two phases: (1)
Operations/facilities/poultry houses
which are initially certified 3 years after
publication would need to comply with
the outdoor stocking density to obtain
certification; (2) All operations certified
before the 3-year mark would need to
comply with the proposed outdoor
stocking density 5 years after the
publication of the final rule.
The increased operating expenses are
projected to raise the break-even price
per dozen eggs by 3.2 percent to 3.6
percent for floor housing systems and
aviaries respectively. We use break-even
price as a proxy for wholesale price.
Based on studies, cited above,
evaluating consumers’ willingness-topay for outdoor access, we anticipate
that price increases of this magnitude
would not deter consumer purchases of
organic eggs.
AMS acknowledges that achieving
consistent organic practices is critical to
maintain consumer trust in the organic
sector and may necessitate that some
producers leave the organic market and
use alternate labeling claims. However,
we expect that updating the organic
livestock standards in response to
consumer and producer preferences will
avert widespread, adverse impacts from
maintaining the status quo. Persistent
consumer confusion about organic
labels on eggs and other livestock
products jeopardizes consumer trust in
the organic label generally and
undermines a key purpose for
establishing a national organic
certification program. In addition to
constraining the performance of existing
organic operations, these conditions
could discourage participation in the
NOP as producers seek alternate
certification to better convey their
management practices to consumers.
On the other hand, organic livestock
production standards that are relevant
and responsive to consumer preferences
should drive demand for organic
products and attract new entrants to the
organic livestock market. This would
have positive monetary impacts for
organic livestock producers and other
organic operations that produce/handle
animal feed. We have not quantified the
potential broader implications for not
pursuing this action.
Impacts on Other Entities
AMS expects that the proposed
handling requirements for organic
livestock, including transit and
slaughter, are common industry practice
and would not substantially affect
producers or handlers. During the
development and deliberation of the
NOSB’s animal welfare
recommendations in 2009 and 2011,
there were numerous public comments.
Those comments did not inform of any
substantial impacts of provisions
pertaining to mammalian livestock.
USDA’s Animal and Plant Health
Inspection Service (APHIS) already has
requirements to support animal health
during transit. With regard to slaughter,
USDA’s Food Safety and Inspection
Service (FSIS) already requires that
mammalian slaughter facilities meet
90 Ibid.
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annually after year 2015. The 2 percent
annual growth is estimated based on the
historical growth rate in the number of
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similar requirements as those
recommended by the NOSB, per the
Humane Methods of Slaughter Act
within the Federal Meat Inspection Act.
Some small mammalian slaughter
facilities may not currently be inspected
by FSIS; for example, those operations
that sell meat intra-state only. However,
AMS understands that humane
slaughter practices in compliance with
the Humane Methods of Slaughter Act
are industry standard. AMS expects that
costs incurred to comply with the
proposed rule would not be a
substantial barrier. Such costs could
include those related to training staff,
developing record-keeping materials,
making minor facility renovations, and
documenting and analyzing the
facility’s compliance with the proposed
rule. Therefore, AMS does not expect
that existing organic slaughter facilities
would incur substantial costs or make
onerous changes to current facilities or
procedures in order to comply with the
proposed rule.
AMS understands that it is possible
that a subset of the existing certified
organic slaughter facilities could
surrender their organic certification as a
result of this action, which could impact
organic livestock producers. However,
AMS cannot predict the number of such
entities, if any, that would surrender
organic certification and the
corresponding impact to organic
producers. Similarly, certain businesses
currently providing livestock transport
services for certified organic producers
or slaughter facilities may be unwilling
to meet and/or document compliance
with the proposed livestock transit
requirements. AMS is requesting
comments specifically on the proposed
regulations for slaughter.
As discussed below in the Paperwork
Reduction Act section, this proposed
rule would impose additional
paperwork requirements. Organic
livestock and poultry producers and
handlers must develop and maintain an
organic system plan. This is a
requirement for all organic operations,
and the USDA organic regulations
describe what information must be
included in an organic system plan
(§ 205.201). This proposed rule
describes the additional information
(§§ 205.238, 205.239, 205.241, and
205.242) that will need to be included
in a livestock operation’s organic system
plan in order to assess compliance.
AMS estimates the annual cost to
compile this information will be $400
per organic livestock producer. AMS
expects that as producers adapt to the
requirements introduced by the
amendments at §§ 205.238, 205.239,
205.241, and 205.242, the number of
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labor hours per year for currently
certified operators will decrease.
This proposed rule would also impose
a minor burden on certifying agents.
These entities will need to become
familiar with the requirements of the
proposed rule and update organic
system plan forms.
AMS does not expect that this
proposed rule would impose any unique
cost burdens on foreign-based livestock
operations that are USDA certified
organic due to the extremely limited
number of foreign certified poultry
operations. There are less than 5
producers and handlers of USDA
certified egg or chicken operations
outside of the U.S. according to the
NOP’s Organic Integrity database. There
are less than 70 USDA certified organic
operations that have mammalian
livestock and operation outside of the
U.S.; most of these are cattle operations
in Australia.
AMS did not estimate costs for
impacts to third-party animal welfare
certification programs. As discussed
above, we expect that organic producers
may opt to no longer participate in these
certification programs once this
proposed rule is finalized. AMS believes
that these private certification programs
have a participant base that is broader
than organic producers and offer a
unique service for producers who want
to convey specific information about
animal welfare practices to consumers.
Conclusions
This proposed rule will maintain
consumer trust in the value and
significance of the USDA organic seal,
particularly on organic livestock
products. Clear and consistent standards
for organic livestock practices,
especially maximum stocking density
and outdoor access for poultry, are
needed and broadly anticipated by most
livestock producers, consumers, trade
groups, certifying agents, and OIG. This
action completes the process, as
intended by OFPA and reiterated in the
USDA organic regulations, to build
more detailed standards for organic
livestock. By resolving the ambiguity
about outdoor access for poultry, this
action furthers an objective of OFPA:
Consumer assurance that organically
produced products meet a consistent
standard. In turn, it also provides
assurance to producers that organic
certification standards reflect the
expectations of the consumer base.
Augmenting the animal welfare practice
standards for organic livestock would
provide a foundation for efficient and
equitable compliance and enforcement
and facilitate fair competition among
organic livestock producers. AMS is
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providing a 5-year implementation
period for the outdoor access provisions
for poultry in consideration of the
average time needed to finish
depreciating the capital costs of aviary
houses, production realities and cost to
producers who invested in organic
production facilities.
AMS is seeking comments on the
economic impacts, both costs and
benefits, of this action on the industry.
We are specifically interested in
validating the accuracy of assumptions
about available outdoor space, and more
precise estimates of the number and size
of egg layer and broiler operations that
may be affected by this action. The costs
and benefits are summarized in the
Executive Summary and were described
in detail in this section.
B. Executive Order 12988
Executive Order 12988 instructs each
executive agency to adhere to certain
requirements in the development of new
and revised regulations in order to avoid
unduly burdening the court system.
This proposed rule is not intended to
have a retroactive effect.
States and local jurisdictions are
preempted under the OFPA from
creating programs of accreditation for
private persons or State officials who
want to become certifying agents of
organic farms or handling operations. A
governing State official would have to
apply to USDA to be accredited as a
certifying agent, as described in section
6514(b) of the OFPA. States are also
preempted under sections 6503 and
6507 of the OFPA from creating
certification programs to certify organic
farms or handling operations unless the
State programs have been submitted to,
and approved by, the Secretary as
meeting the requirements of the OFPA.
Pursuant to section 6507(b)(2) of the
OFPA, a State organic certification
program may contain additional
requirements for the production and
handling of organically produced
agricultural products that are produced
in the State and for the certification of
organic farm and handling operations
located within the State under certain
circumstances. Such additional
requirements must: (a) Further the
purposes of the OFPA, (b) not be
inconsistent with the OFPA, (c) not be
discriminatory toward agricultural
commodities organically produced in
other States, and (d) not be effective
until approved by the Secretary.
Pursuant to section 6519(f) of the
OFPA, this proposed rule would not
alter the authority of the Secretary
under the Federal Meat Inspection Act
(21 U.S.C. 601–624), the Poultry
Products Inspection Act (21 U.S.C. 451–
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471), or the Egg Products Inspection Act
(21 U.S.C. 1031–1056), concerning meat,
poultry, and egg products, nor any of
the authorities of the Secretary of Health
and Human Services under the Federal
Food, Drug and Cosmetic Act (21 U.S.C.
301–399), nor the authority of the
Administrator of the EPA under the
Federal Insecticide, Fungicide and
Rodenticide Act (7 U.S.C. 136–136(y)).
Section 6520 of the OFPA provides
for the Secretary to establish an
expedited administrative appeals
procedure under which persons may
appeal an action of the Secretary, the
applicable governing State official, or a
certifying agent under this title that
adversely affects such person or is
inconsistent with the organic
certification program established under
this title. The OFPA also provides that
the U.S. District Court for the district in
which a person is located has
jurisdiction to review the Secretary’s
decision.
C. Regulatory Flexibility Analysis
The Regulatory Flexibility Act (RFA)
(5 U.S.C. 601–612) requires agencies to
consider the economic impact of each
rule on small entities and evaluate
alternatives that would accomplish the
objectives of the rule without unduly
burdening small entities or erecting
barriers that would restrict their ability
to compete in the market. The purpose
is to fit regulatory actions to the scale of
businesses subject to the action.
The RFA permits agencies to prepare
the initial RFA in conjunction with
other analyses required by law, such as
the Regulatory Impact Analysis (RIA).
AMS notes that several requirements to
complete the RFA overlap with the RIA.
For example, the RFA requires a
description of the reasons why action by
the agency is being considered and an
analysis of the proposed rule’s costs to
small entities. The RIA describes the
need for this proposed rule, the
alternatives considered and the
potential costs and benefits of this
proposed rule. In order to avoid
duplication, we combine some analyses
as allowed in section 605(b) of the RFA.
The RIA explains that the scope of that
analysis is the impact on the organic egg
sector. AMS believes that other types of
organic livestock and poultry
production would not face significant
costs to comply with this proposed rule
because the proposed provisions
generally codify current practices. As
explained below, AMS expects that the
vast majority of organic egg producers
and broiler producers that could be
impacted by this proposed rule would
qualify as small businesses. In the RIA,
the discussion of alternatives and the
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potential costs and benefits pertain to
impacts upon all entities, including
small entities. Therefore, the scope of
those analyses is applicable to the RFA.
The RIA should be referred to for more
detail.
Why is AMS proposing this rule?
The Organic Food Production Act
(OFPA) provides general requirements
for organic livestock production, and
directs USDA to provide more detailed
provisions through rulemaking. The
current USDA organic regulations have
broad and general requirements for
ensuring the welfare of certified organic
livestock and poultry. Organic livestock
and poultry must be raised in a way that
accommodates their health and natural
behavior and reduces stress.
Specifically, organic livestock and
poultry producers must provide access
to the outdoors, shade, clean and dry
bedding, shelter, space for exercise,
fresh air, clean drinking water, and
direct sunlight (§ 205.239(a)).
Additionally, the organic regulations
describe allowed and prohibited
livestock healthcare practices and
specify requirements for organic
livestock living conditions
(§ 205.239(b)). AMS began the process of
adding more specificity to the livestock
provisions with the publication of the
2010 final rule on access to pasture for
ruminants. This action would fulfill the
expectations set forth in OFPA and
anticipated by the organic community
for more clarity on production practices
for poultry and other livestock species.
The USDA organic regulations for
livestock and poultry are general and
can apply to various production
situations. However, as described above,
varying interpretations of these
regulations have resulted in different
practices, particularly concerning
outdoor access for poultry. One of the
main disparities in practice is the use of
porches to provide outdoor access
versus an uncovered area with soil and/
or vegetation. This disparity in outdoor
access has economic implications for
the operations and jeopardizes
consumer confidence in the organic
label.
AMS has received formal complaints
from organic poultry farmers who
provide outdoor access through pasturebased systems. These operations have
cited that they are at a competitive
disadvantage compared to operations
that are providing more limited access
to the outdoors.91 To resolve this
divergence in practices, the NOSB,
91 Increased outdoor access is associated with
increased mortality due to predation and decreased
feed efficiency.
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21999
organic trade groups, and consumer
groups have pressed AMS to intervene
and set clear guidelines regarding
outdoor access, minimum space
requirements, and other livestock and
poultry provisions. With this proposed
rule, AMS is proposing more specific
requirements for organic livestock and
poultry, including specific minimum
indoor and outdoor space requirements
for organic poultry, and provisions for
handling during transportation and
slaughter. These proposed requirements
are largely based on recommendations
from the NOSB which were developed
with substantive input from
stakeholders, including producers and
consumers. In the RIA, AMS explains
that the outdoor access requirements for
poultry are expected to have cost
impacts for organic egg and broiler
producers. Therefore, this analysis
focuses on those production sectors.
The other proposed requirements for
mammalian living conditions,
healthcare practices and handling
during transport and slaughter would
essentially codify existing practices and
are not considered in this analysis. The
scope of the analysis is also explained
in the RIA.
Consumers have become increasingly
interested in how their food is produced
and make purchasing decisions based
on the method of production. Based on
public comments received in response
to the NOSB’s recommendations on
animal welfare, AMS understands that
consumers expect, and are willing to
pay more for, animal welfare
requirements that are more stringent
than conventional products. This
includes outdoor access for organic
poultry. AMS believes that the costs
incurred by producers in complying
with this proposed action are necessary
to reflect consumer expectations for
organic products. If implemented, this
action would, as discussed in the
benefits portion of the RIA, support
consumer expectations related to
practices for organic livestock. AMS
believes that the long-term economic
impact of not implementing this
proposed rule could undermine the
integrity of the USDA organic seal, if
there is ambiguity regarding how the
USDA organic regulations must be
applied across the organic livestock and
poultry sector.
Would I be affected by the rule?
AMS has considered the economic
impact of this proposed action on small
entities. Small entities include avian
and mammalian livestock producers
and slaughter facilities that currently
hold or are considering certification to
the USDA organic regulations, as well as
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organic certifying agents. While the
proposed action would affect all
operations involved in the production,
handling, and certification of organic
livestock, AMS believes that the cost of
implementing the proposed rule will
fall primarily on current and
prospective organic egg and broiler
producers, including: (1) Individuals or
business entities that are considering
starting a new egg or poultry operation
and that plan to seek organic
certification for that operation, (2)
existing egg and broiler producers that
plan to seek organic certification for that
operation, and (3) existing egg and
broiler producers that are currently
certified organic under the USDA
organic regulations.
The RFA requires, with some
exception, that AMS define small
businesses according to its size
standards. The Small Business
Administration (SBA) sets size
standards for defining small businesses
by number of employees or amount of
revenues for specific industries. These
size standards vary by North American
Industry Classification System (NAICS)
code (13 CFR part 121.201). For the RFA
analysis, AMS focused on estimating
how different size organic layer and
broiler operations (small versus large)
would be impacted as a result of
meeting the proposed indoor and
outdoor space requirements.
AMS does not expect that the
proposed rule would substantially affect
other stakeholders, including (1)
operations that produce other organic
poultry, (2) operations that produce
mammalian livestock, (3) operations
that handle organic livestock, and (4)
organic certifying agents. These
determinations are based on a number
of assumptions described below and
explained in the RIA. This analysis
focused on the impact of the proposed
rule on small businesses in the United
States.
What are the estimated costs for organic
layer operations?
Small egg producers are listed under
NAICS code 112310 (Chicken Egg
Production) as grossing less than
$15,000,000 per year. AMS estimates
that out of 722 operations reporting
sales of organic eggs, 4 exceed that
threshold.92 However, we estimate that
large producers account for 25 percent
of organic egg production.
The availability of adjacent land for
egg laying operations to meet the
proposed outdoor access requirements
is the main determinant of costs to
implement this rule. AMS projects that
organic egg and broiler producers would
be able to meet this proposed rule with
only modest costs. We assume that these
producers have or can acquire adequate
outdoor space to meet the proposed
outdoor stocking density. For these
producers, the increased costs are due
primarily to increased mortality,
reduced feed efficiency associated with
increased outdoor access, maintenance
of outdoor areas (e.g., fencing) and for
broilers, reduced number of birds to
meet the indoor stocking density.93 The
reported cost estimates for this scenario
are provided in the RIA in Table 9. We
project the reported costs would total
$4.5 million for small layer operations
and $1.5 million for large layer
operations. Per operation, we estimate
the total annual cost would be slightly
over $6,000 for small operations and
$380,000 for large operations.94
TABLE 11—ESTIMATED COSTS FOR ORGANIC LAYER OPERATIONS BASED ON SIZE
Small
operations
(less than $15
million in
sales)
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Reported costs annualized over 13 years (million) .................................................................................................
Average, 13 year annualized reported cost per operation ......................................................................................
Large
operations
($15 million or
more in sales)
$4.56
6,350
$1.52
380,000
AMS recognizes that the reported
costs exclude the majority of
compliance costs current organic layer
operations will face. For organic layers
operations, the compliance costs
incurred will be $21.12 million each
year after implementation for small
operations and $7 million each year
after implementation for large
operations. Each small layer operation
will incur compliance costs of $29,400
each year after implementation and each
large layer operation will incur
compliance costs of $1.76 million each
year after implementation.
AMS expects that the costs to comply
with the proposed outdoor space
requirements would be more
burdensome for larger organic layer
producers and would increase the
likelihood for these operations to
transition to a cage-free label. Since
nearly all of the organic producers
qualify as small businesses, we expect
that there is considerable variation in
the size of operations in this category.
These operations would require
significantly more land and would be
less likely to have that area available for
expansion.
As previously stated, however,
producers could choose to surrender
their organic certification and move to
alternate labels such as cage-free, which
would reduce both their annual profits
and their annual operating costs. AMS
estimated the cost for the potential
scenario in which 90 percent of organic
aviary operations transition to the cagefree market in response to this proposed
rule. Because aviary houses hold more
birds, these operations will require a
larger land base to comply with the
outdoor stocking density. Therefore, we
expect that any operations would which
exit the organic egg market would not
qualify as small businesses per SBA
criteria. AMS estimates that if a
100,000-dozen-egg, aviary facility
transitioned from the current USDA
organic regulations to the cage-free
label, the operation would, on average,
have reduced annual profits ($7,262
versus $26,482).
92 The National Agricultural Statistics Service’s
2014 Organic Survey provides the number of farms
reporting sales of organic eggs and those reporting
sales of organic broilers. AMS requested a special
tabulation from NASS to obtain the number of
organic egg and organic broiler operations which
exceed the Small Business Administration sales
criterion for small businesses in each of these
production categories.
93 Due to increased mortality, producers may
need to have more birds to offset the losses. In
addition, birds may expend more energy with
increased outdoor access requiring more feed per
bird.
94 The per operation totals are calculated using
722 as the total number of organic layer operations;
718 qualify as small and 4 qualify as large per the
SBA size standards.
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Organic Broiler Producers
Small chicken producers are listed
under NAICS code 11230 (Broilers and
Other Meat Type Chicken Production)
as grossing less than $750,000 per year.
According to the NASS special
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tabulation, AMS estimates that 27 of the
245 operations reporting sales of organic
broilers would not qualify as small
businesses. AMS estimates that the large
businesses represent 25 percent of the
organic broiler market. AMS reports that
22001
the proposed indoor and outdoor space
requirements would impose average
costs of $3.4 million per year.
TABLE 12—ESTIMATED COSTS FOR ORGANIC BROILER OPERATIONS BASED ON SIZE
Small
operations
(less than
$750,000 in
annual sales) a
Reported costs annualized over 13 years ...............................................................................................................
Average, 13 year annualized, reported cost per operation .....................................................................................
AMS recognizes that the reported
costs exclude the majority of
compliance costs current organic broiler
operations will face. For organic broiler
operations, the compliance costs
incurred will be $5.5 million each year
after implementation for small
operations and $1.8 million each year
after implementation for large
operations. Each small layer operation
will incur compliance costs of $25,200
each year after implementation and each
large layer operation will incur
compliance costs of $68,000 each year
after implementation.95
Would other organic livestock
producers and handlers be substantially
affected?
Based on available data, AMS does
not expect that other organic livestock
producers and handlers would be
substantially affected by this proposed
action. As explained in the RIA, we
expect the proposed provisions for
mammalian living conditions and
health care practices, and handling and
transport to slaughter, would codify
existing industry practices. These
determinations are based on a series of
assumptions described below.
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Organic Mammalian Livestock
Producers
AMS believes the proposed
clarifications for organic mammalian
livestock, including provisions related
to animal treatment and physical
alternations, are common industry
practice and would not have a
substantial impact on such producers.
AMS previously addressed major living
condition changes for ruminant
livestock in its final rule, Access to
Pasture (Livestock) (75 FR 7154,
February 17, 2010).
95 The per operation totals are calculated using
245 as the total number of organic layer operations;
218 qualify as small and 27 qualify as large per the
SBA size standards.
.
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Organic Livestock Handling Operations
Based on available information, AMS
understands that, in practice, all
handling operations for organic
livestock are small businesses. We
expect that the proposed handling
requirements for organic livestock,
including transit and slaughter, are
common industry practice and would
not substantially affect handlers.
USDA’s Animal and Plant Health
Inspection Service (APHIS) already has
requirements to support animal welfare
during transit. AMS understands that
the proposed additional requirements
related to transit are of industry
standard. Also, operations providing
transit services for organic livestock are
not required to be certified to the USDA
organic standard. Therefore, while
operations providing transit services
would need to comply with the
proposed transit requirements, they
would not be directly subject to
additional certification requirements.
Both small livestock slaughter
facilities (NAICS code 311611) and
poultry slaughter facilities (NAICS code
311615) are defined as those grossing
less than $500,000,000 per year. AMS
understands that most of the
approximately 114 U.S.-based livestock
slaughter facilities certified to the USDA
organic regulations are small businesses.
With regard to slaughter, USDA’s Food
Safety and Inspection Service (FSIS)
already requires that mammalian
slaughter facilities meet similar
requirements as those recommended by
the NOSB, per the Humane Methods of
Slaughter Act within the Federal Meat
Inspection Act. Some small mammalian
slaughter facilities may not currently be
inspected by FSIS; for example, those
operations that sell meat intra-state
only. However, AMS understands that
humane slaughter practices in
compliance with the Humane Methods
of Slaughter Act are industry standard.
In addition, some small poultry
slaughter facilities which are exempt
from FSIS inspection already observe
the good commercial practices that
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$2.53 million
11,600
Large
operations
(over
$750,000 in
annual sales)
$845,000
31,300
would align with the Poultry Products
Inspection Act and FSIS regulations.
AMS expects that costs incurred to
comply with the proposed rule would
not be a substantial barrier. Such costs
could include those related to training
staff, developing record-keeping
materials, making minor facility
renovations, and documenting and
analyzing the facility’s compliance with
the proposed rule. Therefore, AMS does
not expect that existing organic
slaughter facilities would incur
substantial costs or make onerous
changes to current facilities or
procedures in order to comply with the
proposed rule.
AMS understands that it is possible
that a subset of the existing certified
organic slaughter facilities could
surrender their organic certification as a
result of this action, which could impact
organic livestock producers. However,
AMS cannot predict the number of such
entities, if any, that would surrender
organic certification and the
corresponding impact to organic
producers. Similarly, certain businesses
currently providing livestock transport
services for certified organic producers
or slaughter facilities may be unwilling
to meet and/or document compliance
with the proposed livestock transit
requirements.
What is the impact for organic certifying
agents?
This proposed rule would also affect
certifying agents that certify organic
livestock operations. The Small
Business Administration (SBA) defines
small agricultural service firms, which
includes certifying agents, as those
having annual receipts of less than
$7,500,000 (North American Industry
Classification System Subsector 115—
Support Activities for Agriculture and
Forestry). There are currently 79 USDAaccredited certifying agents; based on a
query of the NOP certified organic
operations database, there are
approximately 41 certifying agents who
are currently involved in the
certification of organic livestock
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operations. AMS believes that these
certifying agents would meet the
criterion for a small business, though
some are agencies of state governments.
While certifying agents are small
entities that will be affected by this
proposed rule, we do not expect these
certifying agents to incur substantial
costs as a result of this action. Certifying
agents must already comply with the
current regulations, e.g., maintaining
certification records for their clients.
Their primary new responsibility under
this proposal would be to determine if
organic livestock producers are meeting
the requirements proposed in this rule,
including but not limited to the
minimum indoor and outdoor space
requirements for organic poultry.
How would the proposed
implementation period affect small
businesses?
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Minimum Outdoor Space Requirements
AMS understands that, based on the
analysis above, both small and large
organic layer operations and broiler
operations may incur costs in order to
comply with the proposed minimum
indoor and outdoor space requirements.
While our analysis demonstrates that
large poultry operations would have
significantly higher compliance costs
than small operations on average, we
understand that small producers that are
closer to the 245,000-hen threshold or
the 150,000 broiler threshold may still
incur substantial costs to comply with
the proposed rule. Therefore, AMS is
seeking to reduce the economic burden
to organic producers, including small
businesses, without unduly delaying the
improved animal conditions.
AMS is proposing a 5-year
implementation period for the
minimum outdoor space requirements
for poultry. A facility which is certified
before 3 years after publication of the
final rule would have 5 years to come
into compliance. Producers and poultry
houses which are not certified prior to
3 years after publication of the final rule
would need to meet all of the
requirements in order to obtain organic
certification. Such new operations and
poultry houses would include: (1) all
poultry houses that first became
certified organic 3 years or more after
the final rule was published; and (2)
new or replacement poultry houses
operated by existing organic layer
operations if such facilities were built 3
years or more after the final rule was
published.
By providing an implementation
period, both large and small existing
organic producers would have
additional time to implement the
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necessary changes in order to comply
with the proposed rule. For example,
operations choosing to expand will need
land for the outdoor space. This new
land would need to be certified organic
before organic poultry could have access
to it. Since land that has been treated
with a prohibited substance in the past
3 years is not eligible for organic
certification, the implementation period
would allow organic producers to
transition additional land to organic
production. The 5-year implementation
is based upon our estimate that the
average age of an organic layer house is
7.6 years and has depreciated over 13
years for tax purposes. Therefore, a 5year implementation period would
allow organic egg producers, on average,
to recover the costs of a poultry house.
While we expect that organic egg
producers will bear a greater cost
burden for this proposed rule, this
implementation period should also
align with upgrades to or new
construction for broiler houses. We
expect that 15 percent of broiler houses
generally are 5 years old or less and
have a depreciation rate of 15 years.96
While organic broiler houses are likely
to be newer on average, given that the
NOP was not established until 2002, we
anticipate that the majority of organic
broiler houses would be nearing the
useful life of the broiler house when this
rule is implemented.
All Other Requirements
For all other provisions of the
proposed rule, AMS is proposing an
implementation date of one year after
the publication of the final rule. AMS
chose a one-year period because all
livestock and slaughter operations will
need to change their Organic System
Plans (OSPs) to meet the proposed
requirements. During the one-year
implementation period, certifying
agents would need to update their OSP
forms and make modifications to their
certification processes in order to
evaluate compliance with the proposed
new requirements. This would include
training staff and inspectors. AMS
believes one year is adequate for organic
96 This reflects the percentage of broiler houses in
the U.S., not specific to organic operations that
were 15 years old or less in 2006. We applied that
proportion to this analysis because the population
of broilers has grown since that time, so houses that
were older than 15 years are likely to have been
upgraded or renovated in the interim. This data was
reported in MacDonald, James M. The Economic
Organization of U.S. Broiler Production. Economic
Information Bulletin No. 38. Economic Research
Service, U.S. Dept. of Agriculture, June 2008. The
depreciation rate was reported in the Organic Egg
Farmers of America Survey conducted in July 2014
and cited above.
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operations, including for small
businesses, to implement these changes.
Do these requirements overlap or
conflict with other federal rules?
AMS has not identified any relevant
Federal rules that are currently in effect
that duplicate, overlap, or conflict with
this proposed rule. AMS has reviewed
rules administered by other Federal
agencies, including APHIS and FSIS,
and revised the proposed rule to avoid
duplication. This action provides
additional clarity on the animal welfare
requirements for organic livestock that
are specific and limited to the USDA
organic regulations.
D. Executive Order 13175
This proposed rule has been reviewed
in accordance with the requirements of
Executive Order 13175, ‘‘Consultation
and Coordination with Indian Tribal
Governments.’’ Executive Order 13175
requires Federal agencies to consult and
coordinate with tribes on a governmentto-government basis on policies that
have tribal implications, including
regulations, legislative comments or
proposed legislation, and other policy
statements or actions that have
substantial direct effects on one or more
Indian tribes, on the relationship
between the Federal Government and
Indian tribes or on the distribution of
power and responsibilities between the
Federal Government and Indian tribes.
AMS has assessed the impact of this
rule on Indian tribes and determined
that this rule does not, to our
knowledge, have tribal implications that
require tribal consultation under E.O.
13175. If a Tribe requests consultation,
AMS will work with the Office of Tribal
Relations to ensure meaningful
consultation is provided where changes,
additions and modifications identified
herein are not expressly mandated by
Congress.
E. Paperwork Reduction Act
In accordance with the Paperwork
Reduction Act of 1995 (44 U.S.C. 3501–
3520) (PRA), AMS is requesting OMB
approval for a new information
collection totaling 119,957 hours for the
reporting and recordkeeping
requirements contained in this proposed
rule. OMB previously approved
information collection requirements
associated with the NOP and assigned
OMB control number 0581–0191. AMS
intends to merge this new information
collection, upon OMB approval, into the
approved 0581–0191 collection. Below,
AMS has described and estimated the
annual burden, i.e., the amount of time
and cost of labor, for entities to prepare
and maintain information to participate
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in this proposed voluntary labeling
program. The OFPA, as amended,
provides authority for this action.
Title: National Organic Program;
Organic Livestock and Poultry Practices.
OMB Control Number: 0581–NEW.
Expiration Date of Approval: 3 years
from OMB date of approval.
Type of Request: New collection.
Abstract: Information collection and
recordkeeping is necessary to
implement reporting and recordkeeping
necessitated by amendments to
§§ 205.238, 205.239, 205.241, and
205.242 for additional animal welfare
standards for organic livestock
production under the USDA organic
regulations. OFPA authorizes the further
development of livestock production
standards (7 U.S.C. 6513(c)). This action
is necessary to address multiple
recommendations provided to USDA by
the NOSB to add specificity about
animal welfare practices with the
purpose of ensuring consumers that
conditions and practices for livestock
products labeled as organic encourage
and accommodate natural behaviors and
utilize preventive health care slaughter
practices.
All certified organic operations must
develop and maintain an organic system
plan for certification (§ 205.201). The
OSP must include a description of
practices and procedures to be
performed and maintained, including
the frequency with which they will be
performed. Under the proposed rule,
organic livestock operations would be
subject to additional reporting
requirements. The amendments to
§§ 205.238, 205.239, 205.241, and
205.242 require livestock operations to
provide specific documentation as part
of an organic system plan to include
conditions on livestock living
conditions to permit natural behavior,
including minimum space, outdoor
access and utilize preventive health care
practices (e.g. physical alterations,
euthanasia).
The PRA also requires AMS to
measure the recordkeeping burden.
Under the USDA organic regulations
each producer is required to maintain
and make available upon request, for 5
years, such records as are necessary to
verify compliance (§ 205.103). Certifying
agents are required to maintain records
for 5 to 10 years, depending on the type
of record (§ 205.510(b)) and make these
records available for inspection upon
request (§ 205.501(a)(9)). The new
information that livestock operations
must provide for certification will assist
certifying agents and inspectors in the
efficient and comprehensive evaluation
of these operations and will impose an
additional recordkeeping burden for
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livestock operations. Certifying agents
currently involved in livestock
certification are required to observe the
same recordkeeping requirements to
maintain accreditation, therefore AMS
expects that this proposed rule would
not impose a different recordkeeping
burden on certifiers.
Reporting and recordkeeping are
essential to the integrity of the organic
certification system. A clear paper trail
is a critical tool to verify that practices
meet the mandate of OFPA and the
USDA organic regulations. This
information supports the AMS mission,
program objectives, and management
needs by enabling us to assess the
efficiency and effectiveness of the NOP.
The information affects decisions
because it is the basis for evaluating
compliance with OFPA and USDA
organic regulations, and for
administering the NOP, management
decisions and planning, and
establishing the cost of the program. It
also supports administrative and
regulatory actions to address
noncompliance with OFPA and USDA
organic regulations.
This information collection is only
used by the certifying agent and
authorized representatives of USDA,
including AMS and NOP staff.
Certifying agents, including any
affiliated organic inspectors, and USDA
are the primary users of the information.
Respondents
AMS has identified three types of
entities (respondents) that would need
to submit and maintain information in
order to participate in organic livestock
certification. For each type of
respondent, we describe the general
paperwork submission and
recordkeeping activities and estimate:
(1) The number of respondents; (2) the
hours they spend, annually, completing
the paperwork requirements of this
labeling program; and, (3) the costs of
that activity.
1. Certifying agents. Certifying agents
are State, private, or foreign entities
accredited by USDA to certify domestic
and foreign livestock producers and
handlers as organic in accordance with
OFPA and USDA organic regulations.
Certifying agents determine if a
producer or handler meets organic
requirements, using detailed
information from the operation about its
specific practices and on-site inspection
reports from organic inspectors.
Currently, there are 77 certifying agents
accredited under NOP; many of which
certify operations based in the U.S. and
abroad. AMS assumes all currently
accredited certifying agents evaluate
livestock operations for compliance
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22003
with the USDA organic regulations and
will therefore be subject to the
amendments at §§ 205.238, 205.239,
205.241, and 205.242.
Each entity seeking to continue USDA
accreditation for livestock will need to
submit information documenting its
business practices including
certification, enforcement and
recordkeeping procedures and
personnel qualifications (§ 205.504).
AMS will review that information
during its next scheduled on-site
assessment to determine whether to
continue accreditation for the scope of
livestock. Certifying agents will need to
annually update the above information
and provide results of personnel
performance evaluations and the
internal review of its certification
activities (§ 205.510).
AMS projects that the additional
components of organic system plans for
livestock may entail longer review times
than those for other types of organic
system plans. AMS estimates the annual
collection cost per certifying agent will
be $3,000.94. This estimate is based on
an estimated 91.8 labor hours per year
at $32.69 per hour for a total salary
component of $3,000.94 per year. This
value is assumed to be an underestimate
as the certifier bears a portion of the
burden of the inspector and certifiers
employ varying numbers of inspectors.
The source of the hourly rate is the
National Compensation Survey:
Occupational Employment and Wages,
May 2014, published by the Bureau of
Labor Statistics. The rate is the mean
hourly wage for compliance officers.
This classification was selected as an
occupation with similar duties and
responsibilities to that of a certifying
agent.97
2. Organic Inspectors. Inspectors
conduct on-site inspections of certified
operations and operations applying for
certification and report the findings to
the certifying agent. Inspectors may be
the agents themselves, employees of the
agents, or individual contractors.
Certified operations will be inspected
annually; a certifying agent may call for
additional inspections on an as needed
basis (§ 205.403(a)). Any individual who
applies to conduct inspections of
livestock operations will need to submit
information documenting their
qualifications to the certifying agent
(§ 205.504(a)(3)). Inspectors will need to
97 Compliance officers examine, evaluate, and
investigate eligibility for or conformity with laws
and regulations governing contract compliance of
licenses and permits, and perform other compliance
and enforcement inspection and analysis activities
not classified elsewhere. Bureau of Labor Statistics,
Occupational Employment and Wages, May 2014,
13–1041 Compliance Officers.
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provide an inspection report to the
certifying agent for each operation
inspected (§ 205.403(e)). AMS projects
that on average, inspectors will spend 3
hours longer than average (10 hours) to
complete an inspection report for
livestock operations. This estimate is
due to the additional components of the
organic system plan that will need to be
inspected. Inspectors do not have
recordkeeping obligations; certifying
agents maintain records of inspection
reports.
According to the International
Organic Inspectors Association (IOIA),
there are approximately 250 inspectors
currently inspecting crop, livestock,
handling and/or wild crop operations
that are certified or have applied for
certification. AMS assumes that
approximately half (125) of these
inspectors inspect livestock operations.
AMS estimates the annual collection
cost per inspector to be $6,731.37. This
estimate is based on an estimated 321
additional labor hours per year at $20.97
per hour for a total salary component of
$6,731.37 per year. The source of the
hourly rate is the National
Compensation Survey: Occupational
Employment and Wages, May 2014,
published by the Bureau of Labor
Statistics. The rate is the mean hourly
wage for agricultural inspectors
(occupation code 45–2011).
3. Producers and handlers. Domestic
and foreign livestock producers and
handlers will submit the following
information to certifying agents: an
application for certification, detailed
descriptions of specific practices,
annual updates to continue certification,
and changes in their practices. Handlers
include those who transport or
transform aquaculture products and
may include bulk distributors, food and
feed manufacturers, processors, or
packers. Some handlers may be part of
a retail operation that processes organic
products in a location other than the
premises of the retail outlet.
In order to obtain and maintain
certification, livestock producers and
handlers will need to develop and
maintain an organic system plan. This is
a requirement for all organic operations
and the USDA organic regulations
describe what information must be
included in an organic system plan
(§ 205.201). This proposed rule
describes the additional information
(§§ 205.238, 205.239, 205.241, and
205.242) that will need to be included
in a livestock operation’s organic system
plan in order to assess compliance.
Certified operations are required to keep
records about their organic production
and/or handling for 5 years
(§ 205.103(b)(3)).
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AMS used the NOP 2014 List of
Certified Operations to estimate the
number of livestock operations that
would be affected by this proposed
action. On that basis, AMS estimates
that 4,177 currently certified foreign and
domestic livestock operations who will
be subject to the amendments at
§§ 205.238, 205.239, 205.241, and
205.242.98 To estimate the number of
livestock operations that will apply for
and become certified, AMS assumed
that the proportion of livestock
operations to all operations will be
consistent with that as reported in
information collection 0581–0191. On
that basis, AMS estimates there will be
59 operations that will apply for
certification and become certified
organic livestock producers or handlers.
AMS estimates the annual collection
cost per organic livestock producer to be
$400.19. This estimate is based on an
estimated 11.47 labor hours per year at
$34.89 per hour for a total salary
component of $400.19 per year. AMS
estimates that as producers adapt to the
requirements introduced by the
amendments at §§ 205.238, 205.239,
205.241, and 205.242, the number of
labor hours per year for currently
certified operators will decrease. The
source of the hourly rate is the National
Compensation Survey: Occupational
Employment and Wages, May 2014,
published by the Bureau of Labor
Statistics. The rate is the mean hourly
wage for farmers, ranchers and other
agricultural managers (occupation code
11–9013). Administrative costs for
reporting and recordkeeping will vary
among certified operators. Factors
affecting costs include the type and size
of operation, and the type of systems
maintained. AMS also recognizes that
operators bear a portion of the cost
burden for the inspection which varies
between certifiers.
Reporting Burden
Estimate of Burden: Public reporting
burden for the collection of information
is estimated to be 22 hours per year.
Respondents: Certifying agents,
inspectors and livestock operations.
Estimated Number of Respondents:
4,438.
Estimated Number of Responses:
39,021.
Estimated Total Annual Burden on
Respondents: 95,781 hours.
Total Cost: $2,767,692.
Recordkeeping Burden
Estimate of Burden: Public
recordkeeping burden is estimated to be
98 NOP 2014 List of certified USDA organic
operations. Available on the NOP Web site,
https://apps.ams.usda.gov/nop/.
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an annual total of 5.12 hours per
respondent.
Respondents: Certifying agents and
livestock operations.
Estimated Number of Respondents:
4,719.
Estimated Total Annual Burden on
Respondents: 24,176 hours.
Total Cost: $843,498.
Comments: AMS is inviting
comments from all interested parties
concerning the information collection
and recordkeeping required as a result
of the proposed amendments to 7 CFR
part 205. Comments are invited on: (1)
Whether the proposed collection of
information is necessary for the proper
performance of the functions of the
agency, including whether the
information will have practical utility;
(2) the accuracy of the agency’s estimate
of the burden of the proposed collection
of information including the validity of
the methodology and assumptions used;
(3) ways to enhance the quality, utility,
and clarity of the information to be
collected; and (4) ways to minimize the
burden of the collection of information
on those who are to respond, including
the use of appropriate automated,
electronic, mechanical, or other
technological collection techniques or
other forms of information technology.
Comments that specifically pertain to
the information collection and
recordkeeping requirements of this
action should be sent to Paul Lewis
Ph.D., Director Standards Division,
National Organic Program, USDA–
AMS–NOP, Room 2642–So., Ag Stop
0268, 1400 Independence Ave. SW.,
Washington, DC 20250–0268 and to the
Desk Officer for Agriculture, Office of
Information and Regulatory Affairs,
Office of Management and Budget, New
Executive Office Building, 725 17th
Street NW., Room 725, Washington, DC
20503. Comments on the information
collection and recordkeeping
requirements should reference the date
and page number of this issue of the
Federal Register. All responses to this
notice will be summarized and included
in the request for OMB approval. All
comments will become a matter of
public record. The comment period for
the information collection and
recordkeeping requirements contained
in this proposed rule is 60 days.
F. Civil Rights Impact Analysis
AMS has reviewed this proposed rule
in accordance with the Department
Regulation 4300–4, Civil Rights Impact
Analysis (CRIA), to address any major
civil rights impacts the rule might have
on minorities, women, and persons with
disabilities. After a careful review of the
rule’s intent and provisions, AMS has
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determined that this rule would only
impact the organic practices of organic
producers and that this rule has no
potential for affecting producers in
protected groups differently than the
general population of producers. This
rulemaking was initiated to clarify a
regulatory requirement and enable
consistent implementation and
enforcement.
Protected individuals have the same
opportunity to participate in the NOP as
non-protected individuals. The USDA
organic regulations prohibit
discrimination by certifying agents.
Specifically, § 205.501(d) of the current
regulations for accreditation of
certifying agents provides that ‘‘No
private or governmental entity
accredited as a certifying agent under
this subpart shall exclude from
participation in or deny the benefits of
the NOP to any person due to
discrimination because of race, color,
national origin, gender, religion, age,
disability, political beliefs, sexual
orientation, or marital or family status.’’
Section 205.501(a)(2) requires
‘‘certifying agents to demonstrate the
ability to fully comply with the
requirements for accreditation set forth
in this subpart’’ including the
prohibition on discrimination. The
granting of accreditation to certifying
agents under § 205.506 requires the
review of information submitted by the
certifying agent and an on-site review of
the certifying agent’s client operation.
Further, if certification is denied,
§ 205.405(d) requires that the certifying
agent notify the applicant of their right
to file an appeal to the AMS
Administrator in accordance with
§ 205.681. These regulations provide
protections against discrimination,
thereby permitting all producers,
regardless of race, color, national origin,
gender, religion, age, disability, political
beliefs, sexual orientation, or marital or
family status, who voluntarily choose to
adhere to the rule and qualify, to be
certified as meeting NOP requirements
by an accredited certifying agent. This
proposed rule in no way changes any of
these protections against discrimination.
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List of Subjects in 7 CFR Part 205
Administrative practice and
procedure, Agriculture, Animals,
Archives and records, Imports, Labeling,
Organically produced products, Plants,
Reporting and recordkeeping
requirements, Seals and insignia, Soil
conservation.
For the reasons set forth in the
preamble, 7 CFR part 205 is proposed to
be amended as follows:
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PART 205—NATIONAL ORGANIC
PROGRAM
1. The authority citation for 7 CFR
part 205 continues to read:
■
Authority: 7 U.S.C. 6501–6522.
2. Section 205.2 is amended by adding
definitions for ‘‘Beak trimming’’,
‘‘Caponization’’, ‘‘Cattle wattling’’, ‘‘Debeaking’’, ‘‘De-snooding’’, ‘‘Dubbing’’,
‘‘Indoors’’, ‘‘Mulesing’’, ‘‘Outdoors’’,
‘‘Perch’’, ‘‘Pullet’’, ‘‘Roost’’, ‘‘Soil’’,
‘‘Stocking density’’, and ‘‘Toe clipping’’
in alphabetical order to read as follows:
■
§ 205.2
Terms defined.
*
*
*
*
*
Beak trimming. The removal of the
curved tip of the beak.
*
*
*
*
*
Caponization. Castration of chickens,
turkeys, pheasants and other avian
species.
Cattle wattling. The surgical
separation of two layers of the skin from
the connective tissue for along a 2 to 4
inch path on the dewlap, neck or
shoulders used for ownership
identification.
*
*
*
*
*
De-beaking. The removal of more than
the beak tip.
De-snooding. The removal of the
turkey snood (a fleshy protuberance on
the forehead of male turkeys).
*
*
*
*
*
Dubbing. The removal of poultry
combs and wattles.
*
*
*
*
*
Indoors. The flat space or platform
area which is under a solid roof. On
each level the animals have access to
food and water and may be confined if
necessary. Indoor space for avian
species includes, but is not limited to:
(1) Pasture housing. A mobile
structure for avian species with 70
percent perforated flooring.
(2) Aviary housing. A fixed structure
for avian species which has multiple
tiers/levels with feed and water on each
level.
(3) Slatted/mesh floor housing. A
fixed structure for avian species which
has both a slatted floor where perches,
feed and water are provided over a pit
or belt for manure collection; and litter
covering the remaining solid floor.
(4) Floor litter housing. A fixed
structure for avian species which has
absorbent litter covering the entire floor.
*
*
*
*
*
Mulesing. The removal of skin from
the buttocks of sheep, approximately 2
to 4 inches wide and running way from
the anus to the hock to prevent fly
strike.
*
*
*
*
*
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22005
Outdoors. Any area in the open air
with at least 50 percent soil, outside a
building or shelter where there are no
solid walls or solid roof attached to the
indoor living space structure. Fencing or
netting that does not block sunlight or
rain may be used as necessary.
*
*
*
*
*
Perch. A rod or branch type structure
that serves as a roost and allows birds
to utilize vertical space in the house.
*
*
*
*
*
Pullet. A female chicken or other
avian species being raised for egg
production that has not yet started to lay
eggs.
*
*
*
*
*
Roost. A flat structure over a manure
pit that allows birds to grip with their
toes as they would on a perch.
*
*
*
*
*
Soil. The outermost layer of the earth
comprised of minerals, water, air,
organic matter, fungi and bacteria in
which plants may grow roots.
*
*
*
*
*
Stocking density. The weight of
animals on a given unit of land at any
one time.
*
*
*
*
*
Toe clipping. The removal of the nail
and distal joint of the back two toes of
a male bird.
*
*
*
*
*
■ 3. Section 205.238 is revised to read
as follows:
§ 205.238 Livestock health care practice
standard.
(a) The producer must establish and
maintain preventive health care
practices, including:
(1) Selection of species and types of
livestock with regard to suitability for
site-specific conditions and resistance to
prevalent diseases and parasites.
(2) Provision of a feed ration sufficient
to meet nutritional requirements,
including vitamins, minerals, protein
and/or amino acids, fatty acids, energy
sources, and fiber (ruminants), resulting
in appropriate body condition.
(3) Establishment of appropriate
housing, pasture conditions, and
sanitation practices to minimize the
occurrence and spread of diseases and
parasites.
(4) Provision of conditions which
allow for exercise, freedom of
movement, and reduction of stress
appropriate to the species.
(5) Physical alterations may be
performed to benefit the welfare or
hygiene of the animals, or for
identification purposes or safety.
Physical alterations, if used, must be
performed on livestock at a reasonably
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young age, with minimal stress and pain
by a competent person.
(i) The following practices must not
be routinely used on pigs and must be
used only with documentation that
alternative methods to prevent harm
failed: needle teeth trimming (no more
than top one-third of the tooth) and tail
docking.
(ii) The following practices must not
be performed on a certified operation:
de-beaking, de-snooding, caponization,
dubbing, toe trimming of chickens, toe
trimming of turkeys unless with infrared at hatchery, beak trimming after 10
days of age, tail docking of cattle,
wattling of cattle, face branding of
cattle, tail docking of sheep shorter than
the distal end of the caudal fold, and
mulesing of sheep.
(6) Administration of vaccines and
other veterinary biologics.
(7) All surgical procedures necessary
to treat an illness must employ best
management practices to minimize pain,
stress and suffering, with the use of
appropriate and allowed anesthetics,
analgesics and sedatives.
(8) Monitoring of lameness and
keeping records of the percent of the
herd or flock suffering from lameness
and the causes.
(9) Ammonia levels in poultry houses
must be less than 25 parts per million
indoors. When ammonia levels in
poultry houses exceed 10 parts per
million, an operation must implement
additional practices to reduce the
ammonia levels below 10 parts per
million.
(b) When preventive practices and
veterinary biologics are inadequate to
prevent sickness, an operation may
administer synthetic medications
allowed under § 205.603. Parasiticides
allowed under § 205.603 may be used
on:
(1) Breeder stock, when used prior to
the last third of gestation but not during
lactation for progeny that are to be sold,
labeled, or represented as organically
produced.
(2) Dairy stock, when used a
minimum of 90 days prior to the
production of milk or milk products that
are to be sold, labeled, or represented as
organic.
(3) Synthetic medications may be
administered in the presence of illness
or to alleviate pain and suffering:
Provided, that such medications are
allowed under § 205.603.
(c) An organic livestock operation
must not:
(1) Sell, label, or represent as organic
any animal or edible product derived
from any animal treated with
antibiotics, any substance that contains
a synthetic substance not allowed under
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§ 205.603, or any substance that
contains a nonsynthetic substance
prohibited in § 205.604. Milk from
animals undergoing treatment with
synthetic substances allowed under
§ 205.603 having withholding time
cannot be sold as organic but may be fed
to their own offspring. Milk from
animals undergoing treatment with
prohibited substances cannot be sold as
organic or fed to organic livestock.
(2) Administer any animal drug in the
absence of illness or to alleviate pain or
suffering; with the exception of
vaccinations and other veterinary
biologics.
(3) Administer hormones for growth
promotion, production or reproduction.
(4) Administer synthetic parasiticides
on a routine basis.
(5) Administer synthetic parasiticides
to slaughter stock.
(6) Administer animal drugs in
violation of the Federal Food, Drug, and
Cosmetic Act.
(7) Withhold medical treatment from
a sick animal in an effort to preserve its
organic status. All appropriate
medications must be used to restore an
animal to health when methods
acceptable to organic production fail.
Livestock treated with a prohibited
substance must be clearly identified and
neither the animal nor its products shall
be sold, labeled, or represented as
organically produced.
(8) Withhold individual treatment
designed to minimize pain and suffering
for injured, diseased or sick animals,
which may include forms of euthanasia
as recommended by the American
Veterinary Medical Association.
(9) Neglect to identify and record
treatment of sick and injured animals in
animal health records.
(10) Practice forced molting or
withdrawal of feed to induce molting.
(d) Organic livestock operations must
have comprehensive plans to minimize
internal parasite problems in livestock.
The plan will include preventive
measures such as pasture management,
fecal monitoring, and emergency
measures in the event of a parasite
outbreak. Parasite control plans shall be
approved by the certifying agent.
(e) Euthanasia. (1) Organic livestock
operations must have written plans for
prompt, humane euthanasia for sick or
injured livestock.
(2) The following methods of
euthanasia are not permitted:
suffocation; blow to the head by blunt
instrument; and the use of equipment
that crushes the neck, including killing
pliers or burdizzo clamps.
(3) Following a euthanasia procedure,
livestock must be carefully examined to
ensure that they are dead.
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4. Section 205.239 is revised to read
as follows:
■
§ 205.239 Mammalian livestock living
conditions.
(a) The producer of an organic
livestock operation must establish and
maintain year-round livestock living
conditions which accommodate the
health and natural behavior of animals,
including:
(1) Year-round access for all animals
to the outdoors, soil, shade, shelter,
exercise areas, fresh air, clean water for
drinking, and direct sunlight, suitable to
the species, its stage of life, the climate,
and the environment: Except, that,
animals may be temporarily denied
access to the outdoors in accordance
with paragraphs (b) and (c) of this
section. Yards, feeding pads, and
feedlots may be used to provide
ruminants with access to the outdoors
during the non-grazing season and
supplemental feeding during the grazing
season. Yards, feeding pads, and
feedlots shall be large enough to allow
all ruminant livestock occupying the
yard, feeding pad, or feedlot to feed
without competition for food in a
manner that maintains all animals in a
good body condition. Continuous total
confinement of any animal indoors is
prohibited. Continuous total
confinement of ruminants in yards,
feeding pads, and feedlots is prohibited.
(2) For all ruminants, management on
pasture and daily grazing throughout
the grazing season(s) to meet the
requirements of § 205.237, except as
provided for in paragraphs (b), (c), and
(d) of this section.
(3) Animals must be kept clean during
all stages of life with the use of
appropriate, clean, dry bedding, as
appropriate for the species. When
roughages are used as bedding, they
must be organically produced and
handled in accordance with this part by
certified operations except as provided
in § 205.236(a)(2)(i).
(4) Shelter designed to allow for:
(i) Sufficient space and freedom to lie
down in full lateral recumbence, turn
around, stand up, fully stretch their
limbs without touching other animals or
the sides of the enclosure, and express
normal patterns of behavior;
(ii) Temperature level, ventilation,
and air circulation suitable to the
species;
(iii) Reduction of potential for
livestock injury; and
(iv) Areas for bedding and resting that
are sufficiently large, solidly built, and
comfortable so that animals are kept
clean, dry, and free of lesions.
(5) The use of yards, feeding pads,
feedlots and laneways that shall be well-
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drained, kept in good condition
(including frequent removal of wastes),
and managed to prevent runoff of wastes
and contaminated waters to adjoining or
nearby surface water and across
property boundaries.
(6) Housing, pens, runs, equipment
and utensils shall be properly cleaned
and disinfected as needed to prevent
cross infection and build-up of diseasecarrying organisms.
(7) Dairy young stock may be housed
in individual pens under the following
conditions:
(i) Until weaning, providing that they
have enough room to turn around, lie
down, stretch out when lying down, get
up, rest, and groom themselves;
individual animal pens shall be
designed and located so that each
animal can see, smell, and hear other
calves.
(ii) Dairy young stock shall be grouphoused after weaning.
(iii) Dairy young stock over six
months of age shall have access to the
outdoors at all times including access to
pasture during the grazing season,
except as allowed under paragraph (c) of
this section.
(8) Swine must be housed in a group,
except:
(i) Sows may be housed individually
at farrowing and during the suckling
period.
(ii) Boars.
(iii) Swine with documented instance
of aggression or recovery from an
illness.
(9) Piglets shall not be kept on flat
decks or in piglet cages.
(10) Exercise areas for swine, whether
indoors or outdoors, must permit
rooting, including during temporary
confinement events.
(11) In confined housing with stalls,
at least one stall must be provided for
each animal in the facility at any given
time. A cage must not be used as a stall.
For group-housed swine, the number of
individual feeding stalls may be less
than the number of animals as long as
all animals are fed routinely over a 24hour period.
(12) At least 50 percent of outdoor
access space must be soil, except when
conditions threaten the soil or water
quality, outdoor access without soil
must be provided temporarily.
(b) The producer of an organic
livestock operation may provide
temporary confinement or shelter for an
animal because of:
(1) Inclement weather;
(2) The animal’s stage of life.
Lactation is not a stage of life that would
exempt ruminants from any of the
mandates set forth in this part;
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(3) Conditions under which the
health, safety, or well-being of the
animal could be jeopardized;
(4) Risk to soil or water quality;
(5) Preventive healthcare procedures
or for the treatment of illness or injury
(neither the various life stages nor
lactation is an illness or injury);
(6) Sorting or shipping animals and
livestock sales, provided that the
animals shall be maintained under
continuous organic management,
including organic feed, throughout the
extent of their allowed confinement;
(7) Breeding. Animals shall not be
confined any longer than necessary to
perform the natural or artificial
insemination. Animals may not be
confined to observe estrus; and
(8) 4–H, National FFA Organization,
and other youth projects, for no more
than one week prior to a fair or other
demonstration, through the event and
up to 24 hours after the animals have
arrived home from the event. These
animals must have been maintained
under continuous organic management,
including organic feed, during the
extent of their allowed confinement for
the event. Notwithstanding the
requirements in paragraph (b)(6) of this
section, facilities where 4–H, National
FFA Organization, and other youth
events are held are not required to be
certified organic for the participating
animals to be sold as organic, provided
all other organic management practices
are followed.
(c) The producer of an organic
livestock operation may, in addition to
the times permitted under paragraph (b)
of this section, temporarily deny a
ruminant animal pasture or outdoor
access under the following conditions:
(1) One week at the end of a lactation
for dry off (for denial of access to
pasture only), three weeks prior to
parturition (birthing), parturition, and
up to one week after parturition;
(2) In the case of newborn dairy cattle
for up to six months, after which they
must be on pasture during the grazing
season and may no longer be
individually housed: Except, That, an
animal shall not be confined or tethered
in a way that prevents the animal from
lying down, standing up, fully
extending its limbs, and moving about
freely;
(3) In the case of fiber bearing
animals, for short periods for shearing;
and
(4) In the case of dairy animals, for
short periods daily for milking. Milking
must be scheduled in a manner to
ensure sufficient grazing time to provide
each animal with an average of at least
30 percent DMI from grazing throughout
the grazing season. Milking frequencies
PO 00000
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22007
or duration practices cannot be used to
deny dairy animals pasture.
(d) Ruminant slaughter stock,
typically grain finished, shall be
maintained on pasture for each day that
the finishing period corresponds with
the grazing season for the geographical
location. Yards, feeding pads, or
feedlots may be used to provide finish
feeding rations. During the finishing
period, ruminant slaughter stock shall
be exempt from the minimum 30
percent DMI requirement from grazing.
Yards, feeding pads, or feedlots used to
provide finish feeding rations shall be
large enough to allow all ruminant
slaughter stock occupying the yard,
feeding pad, or feed lot to feed without
crowding and without competition for
food. The finishing period shall not
exceed one-fifth (1⁄5) of the animal’s
total life or 120 days, whichever is
shorter.
(e) The producer of an organic
livestock operation must manage
manure in a manner that does not
contribute to contamination of crops,
soil, or water by plant nutrients, heavy
metals, or pathogenic organisms and
optimizes recycling of nutrients and
must manage pastures and other
outdoor access areas in a manner that
does not put soil or water quality at risk.
■ 5. Section 205.241 is added to read as
follows:
§ 205.241
Avian living conditions.
(a) General requirement. An organic
poultry operation must establish and
maintain year-round poultry living
conditions which accommodate the
health and natural behavior of poultry,
including: Year-round access to
outdoors; shade; shelter; exercise areas;
fresh air; direct sunlight; clean water for
drinking; materials for dust bathing;
adequate outdoor space to escape from
predators and aggressive behaviors
suitable to the species, its stage of life,
the climate and environment. Poultry
may be temporarily denied access to the
outdoors in accordance with paragraph
(d) of this section.
(b) Indoor space requirements. (1) All
birds must be able to move freely, and
engage in natural behaviors.
(2) Ventilation must be adequate to
prevent build-up of ammonia. Ammonia
levels must not exceed 25 parts per
million. Operations must monitor
ammonia levels monthly. When
ammonia levels exceed 10 parts per
million, operations must implement
additional practices to reduce ammonia
levels below 10 parts per million.
(3) For layers and mature birds,
artificial light may be used to prolong
the day length up to 16 hours. Artificial
light intensity must be lowered
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Federal Register / Vol. 81, No. 71 / Wednesday, April 13, 2016 / Proposed Rules
gradually to encourage hens to move to
perches or settle for the night. Natural
light must be sufficient indoors on
sunny days so that an inspector can read
and write when all lights are turned off.
(4) The following types of flooring
may be used in shelter for avian species:
(i) Mesh or slatted flooring under
drinking areas to provide drainage.
(ii) Houses, excluding pasture
housing, with slatted/mesh floors must
have 30 percent minimum of solid floor
area available with sufficient litter
available for dust baths so that birds
may freely dust bathe without crowding.
(iii) Litter must be provided and
maintained in a dry condition.
(5) Poultry houses must have
sufficient exit areas, appropriately
distributed around the building, to
ensure that all birds have ready access
to the outdoors.
(6) Flat roosts areas must allow birds
to grip with their feet. Six inches of
perch space must be provided per bird.
Perch space may include the alighting
rail in front of the nest boxes. All birds
must be able to perch at the same time
except for multi-tiered facilities, in
which 55 percent of birds must be able
to perch at the same time. Facilities for
species which do not perch do not need
to have perch or roost space.
(7) For layers, no more than 2.25
pounds of hen per square foot of indoor
space is allowed at any time, except:
(i) Pasture housing. No more than 4.5
pounds of hen per square foot of indoor
space.
(ii) Aviary housing. No more than 4.5
pounds of hen per square foot of indoor
space.
(iii) Slatted/mesh floor housing. No
more than 3.75 pounds of hen per
square foot of indoor space.
(iv) Floor litter housing. No more than
3.0 pounds of hen per square foot of
indoor space.
(8) For pullets, no more than 3.0
pounds of pullet per square foot of
indoor space is allowed at any time.
(9) For turkeys, broilers and other
meat type species, no more than 5.0
pounds of birds per square foot of
indoor space is allowed at any time.
(10) All birds must have access to
scratch areas in the house.
(11) Poultry housing must be
sufficiently spacious to allow all birds
to move freely, stand normally, stretch
their wings and engage in natural
behaviors.
(c) Outdoor space requirements. (1)
Outside access and door spacing must
be designed to promote and encourage
outside access for all birds on a daily
basis. Producers must provide access to
the outdoors at an early age to
encourage (train) birds to go outdoors.
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Outdoor areas must have suitable
enrichment to entice birds to go outside.
Birds may be temporarily denied access
to the outdoors in accordance with
paragraph (d) of this section.
(2) Exit areas must be designed so that
more than one bird can exit at a time
and all birds in the house can exit
within one hour.
(3) For layers, no more than 2.25
pounds of bird per square foot of
outdoor space is allowed at any time.
(4) For pullets, no more than 3.0
pounds of pullet per square foot of
outdoor space is allowed at any time.
(5) For turkeys, broilers and other
meat type species, no more than 5.0
pounds of bird per square foot of
outdoor space is allowed at any time.
(6) Space that has a solid roof
overhead and is attached to the
structure providing indoor space is not
outdoor access and must not be
included in the calculation of outdoor
space.
(7) Shade may be provided by
structures, trees, or other objects in the
environment.
(8) At least 50 percent of outdoor
access space must be soil, except when
conditions threaten the soil or water
quality, outdoor access without soil
must be provided temporarily.
(d) The producer of an organic poultry
operation may temporarily confine
birds. Each instance of confinement
must be recorded. Operations may
confine birds because of:
(1) Inclement weather, including
when air temperatures are under 40
degrees F or above 90 degrees F.
(2) The animal’s stage of life,
including the first 4 weeks of life for
broilers and other meat type birds and
the first 16 weeks of life for pullets.
(3) Conditions under which the
health, safety, or well-being of the
animal could be jeopardized, however
the potential for disease outbreak is not
sufficient cause. A documented
occurrence of a disease in the region or
relevant migratory pathway must be
present in order to confine birds.
(4) Risk to soil or water quality.
(5) Preventive healthcare procedures
or for the treatment of illness or injury
(neither various life stages nor egg
laying is an illness or injury).
(6) Sorting or shipping birds and
poultry sales. Provided the birds are
maintained under continuous organic
management throughout the extent of
their allowed confinement.
(7) Nest box training. Birds shall not
be confined any longer than two weeks
to teach the proper behavior.
(8) 4–H, National FFA Organization,
and other youth projects, for no more
than one week prior to a fair or other
PO 00000
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Fmt 4701
Sfmt 4702
demonstration, through the event and
up to 24 hours after the birds have
arrived home at the conclusion of the
event. These birds must have been
maintained under continuous organic
management, including organic feed,
during the extent of their allowed
confinement for the event.
Notwithstanding the requirements in
paragraph (d)(6) of this section, facilities
where 4–H, National FFA Organization,
and other youth events are held are not
required to be certified organic for the
participating birds to be sold as organic,
provided all other organic management
practices are followed.
(e) The producer of an organic poultry
operation must manage manure in a
manner that does not contribute to
contamination of crops, soil, or water by
plant nutrients, heavy metals, or
pathogenic organisms and optimizes
recycling of nutrients and must manage
outdoor access in a manner that does
not put soil or water quality at risk.
■ 6. Section 205.242 is added to read as
follows:
§ 205.242
Transport and slaughter.
(a) Transport. (1) Certified organic
livestock must be clearly identified as
organic, transported in pens within the
livestock trailer clearly labeled for
organic use and be contained in those
pens for the duration of the trip.
(2) All livestock must be fit for
transport to auction or slaughter
facilities.
(i) Calves must have a dry navel cord
and be able to stand and walk without
human assistance.
(ii) Sick, injured, weak, disabled,
blind, and lame animals must not be
transported for sale or slaughter. Such
animals may be medically treated or
euthanized.
(3) Adequate and season-appropriate
ventilation is required for all livestock
trailers, shipping containers and any
other mode of transportation used to
protect animals against cold and heat
stresses.
(4) Bedding must be provided on
trailer floors and in holding pens as
needed to keep livestock clean, dry, and
comfortable during transportation and
prior to slaughter. Poultry crates are
exempt from the bedding requirement.
When roughages are used for bedding,
they must have been organically
produced and handled by a certified
organic operation(s).
(5) Arrangements for water and
organic feed must be made if transport
time exceeds twelve hours.
(i) Organic livestock operations must
transport livestock in compliance with
the Federal Twenty-Eight Hour Law (49
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U.S.C. 80502) and the regulations at 9
CFR 89.1 through 89.5.
(ii) The producer or handler of an
organic livestock operation must
provide all non-compliant records and
subsequent corrective action related to
livestock transport during the annual
inspection.
(6) Organic operations must have in
place emergency plans to address
possible animal welfare problems that
might occur during transport.
(b) Mammalian slaughter. (1) Organic
operations that slaughter organic
livestock must be in compliance with
the Federal Meat Inspection Act (21
U.S.C. 603(b) and 21 U.S.C. 610(b) and
the regulations at 9 CFR part 313)
regarding humane handling and
slaughter of livestock.
(2) Organic operations that slaughter
organic exotic animals must be in
compliance with the Agricultural
Marketing Act of 1946 (7 U.S.C. 1621, et
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seq.) and the regulations at 9 CFR parts
313 and 352 regarding the humane
handling and slaughter of exotic
animals.
(3) Organic operations that slaughter
organic livestock must provide all noncompliant records related to humane
handling and slaughter issued by the
controlling national, federal or state
authority and all records of subsequent
corrective actions during the annual
organic inspection.
(c) Avian slaughter. (1) Organic
operations that slaughter organic
poultry must be in compliance with the
Poultry Products Inspection Act
requirements (21 U.S.C. 453(g)(5) and
the regulations at 9 CFR 381.1(b)(v),
381.90, and 381.65(b)).
(2) Organic operations that slaughter
organic poultry must provide all noncompliant records related to the use of
good manufacturing practices in
connection with slaughter issued by the
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Sfmt 9990
22009
controlling national, federal or state
authority and all records of subsequent
corrective actions during the annual
organic inspection.
(3) Organic operations that slaughter
organic poultry, but are exempt from or
not covered by the requirements of the
Poultry Products Inspection Act, must
ensure that:
(i) No lame birds may be shackled,
hung or carried by their legs;
(ii) All birds shackled on a chain or
automated system must be stunned
prior to exsanguination; and
(iii) All birds must be irreversibly
insensible prior to being placed in the
scalding tank.
Dated: April 4, 2016.
Elanor Starmer,
Administrator, Agricultural Marketing
Service.
[FR Doc. 2016–08023 Filed 4–12–16; 8:45 am]
BILLING CODE 3410–02–P
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Agencies
[Federal Register Volume 81, Number 71 (Wednesday, April 13, 2016)]
[Proposed Rules]
[Pages 21955-22009]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2016-08023]
[[Page 21955]]
Vol. 81
Wednesday,
No. 71
April 13, 2016
Part II
Department of Agriculture
-----------------------------------------------------------------------
Agricultural Marketing Service
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7 CFR Part 205
National Organic Program; Organic Livestock and Poultry Practices;
Proposed Rule
Federal Register / Vol. 81 , No. 71 / Wednesday, April 13, 2016 /
Proposed Rules
[[Page 21956]]
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DEPARTMENT OF AGRICULTURE
Agricultural Marketing Service
7 CFR Part 205
[Document Number AMS-NOP-15-0012; NOP-15-06PR]
RIN 0581-AD44
National Organic Program; Organic Livestock and Poultry Practices
AGENCY: Agricultural Marketing Service, USDA.
ACTION: Proposed rule.
-----------------------------------------------------------------------
SUMMARY: The United States Department of Agriculture's (USDA)
Agricultural Marketing Service (AMS) proposes to amend the organic
livestock and poultry production requirements by: adding new provisions
for livestock handling and transport for slaughter and avian living
conditions; and expanding and clarifying existing requirements covering
livestock health care practices and mammalian living conditions.
DATES: Comments must be received by June 13, 2016.
ADDRESSES: Interested parties may submit written comments on this
proposed rule using one of the following methods:
Federal eRulemaking Portal: https://www.regulations.gov.
Follow the instructions for submitting comments.
Mail: Paul Lewis Ph.D., Director Standards Division,
National Organic Program, USDA-AMS-NOP, Room 2646-So., Ag Stop 0268,
1400 Independence Ave. SW., Washington, DC 20250-0268.
Instructions: All submissions received must include the docket
number AMS-NOP-15-0012; NOP-15-06PR, and/or Regulatory Information
Number (RIN) 0581-AD44 for this rulemaking. Commenters should identify
the topic and section of the proposed rule to which their comment
refers. All commenters should refer to the GENERAL INFORMATION section
for more information on preparing your comments. All comments received
will be posted without change to https://www.regulations.gov.
Docket: For access to the docket, including background documents
and comments received, go to https://www.regulations.gov. Comments
submitted in response to this proposed rule will also be available for
viewing in person at USDA-AMS, National Organic Program, Room 2646-
South Building, 1400 Independence Ave. SW., Washington, DC, from 9 a.m.
to 12 noon and from 1 p.m. to 4 p.m., Monday through Friday (except
official Federal holidays). Persons wanting to visit the USDA South
Building to view comments received in response to this proposed rule
are requested to make an appointment in advance by calling (202) 720-
3252.
FOR FURTHER INFORMATION CONTACT: Paul Lewis, Ph.D., Director of
Standards Division, Telephone: (202) 720-3252; Fax: (202) 205-7808.
SUPPLEMENTARY INFORMATION:
Executive Summary
A. Purpose of Proposed Rule
This proposed rule would create greater consistency in organic
livestock practices. AMS has determined that the current USDA organic
regulations (7 CFR part 205) covering livestock health care practices
and living conditions need additional specificity and clarity to better
ensure consistent compliance by certified organic operations and to
provide for more effective administration of the National Organic
Program (NOP) by AMS. One purpose of the Organic Foods Production Act
of 1990 (OFPA) (7 U.S.C. 6501-6522) is to assure consumers that
organically produced products meet a consistent and uniform standard (7
U.S.C. 6501). By facilitating improved compliance and enforcement of
the USDA organic regulations, the proposed regulations would better
satisfy consumer expectations that organic livestock meet a uniform and
verifiable animal welfare standard.
Specifically, this proposed action would:
1. Clarify how producers and handlers must treat livestock and
poultry to ensure their health and wellbeing.
2. Clarify when and how certain physical alterations may be
performed on organic livestock and poultry in order to minimize stress.
Additionally, some forms of physical alterations would be prohibited.
3. Set maximum indoor and outdoor stocking density for avian
species, which would vary depending on the type of production and stage
of life.
4. Define outdoor access to exclude the use of structures with
solid roofing for outdoor access and require livestock and poultry to
have contact with soil.
5. Add new requirements for transporting livestock and poultry to
sale or slaughter.
6. Clarify the application of USDA Food Safety and Inspection
Service (FSIS) requirements regarding the handling of livestock and
poultry in connection with slaughter to certified organic livestock and
poultry establishments and provide for the enforcement of USDA organic
regulations based on FSIS inspection findings.
B. Summary of Provisions
This proposed rule would provide specificity on livestock health
care practices, such as which physical alteration procedures are
prohibited or restricted for use on organic livestock. The proposed
livestock health care practice standards include requirements for
euthanasia to reduce suffering of any sick or disabled livestock. To
improve upon the current standards, this proposed rule would set
separate standards for mammalian and avian livestock living conditions
to better reflect the needs and behaviors of the different species, as
well as related consumer expectations. The proposed mammalian livestock
standards would cover both ruminants and swine. The proposed avian
living standards would set maximum indoor and outdoor stocking
densities to ensure the birds have sufficient space to engage in
natural behaviors. This proposed rule would add new requirements on the
transport of organic livestock to sale or slaughter. This proposed rule
would also add a new section to clarify how organic slaughter facility
practices and FSIS regulations work together to support animal welfare.
C. Costs and Benefits
AMS estimates the following costs and benefits of this proposed
rule.
------------------------------------------------------------------------
Costs Benefits
------------------------------------------------------------------------
Production: $9.5-24.1 million per year Qualitative:
(annualized over 13 years). Establishes a clear standard
Paperwork burden: $3.6 million protecting the value of the
annually.. USDA organic seal to
consumers.
Facilitates level enforcement
of organic livestock and
poultry standards.
[[Page 21957]]
Quantitative:
$14.7-62.6 million per year
(annualized over 13 years).
------------------------------------------------------------------------
Table of Contents
I. General Information
A. Does this action apply to me?
B. What should I consider as I prepare my comments for AMS?
II. Background
A. Current Organic Livestock Standards
B. NOSB Recommendations
C. AMS Policy
D. Related Issues
III. Overview of Proposed Amendments
A. Livestock Health Care Practice Standard
B. Mammalian Living Conditions
C. Avian Living Conditions
D. Transport to Sale and Slaughter
E. Slaughter Requirements
F. Other Amendments Considered
IV. Related Documents
V. Statutory and Regulatory Authority
A. Executive Order 12866 and 13563
i. Need for the Rule
ii. Baseline
iii. Alternatives Considered
iv. Costs of Proposed Rule
v. Benefits of Proposed Rule
vi. Conclusions
B. Executive Order 12988
C. Regulatory Flexibility Act
D. Executive Order 13175
E. Paperwork Reduction Act
F. Civil Rights Impact Analysis
I. General Information
A. Does this action apply to me?
You may be potentially affected by this action if you are engaged
in the meat, egg, poultry, dairy, or animal fiber industries.
Potentially affected entities may include, but are not limited to:
Individuals or business entities that are considering
organic certification for a new or existing livestock farm or slaughter
facility.
Existing livestock farms and slaughter facilities that are
currently certified organic under the USDA organic regulations.
Certifying agents accredited by USDA to certify organic
livestock operations and organic livestock handling operations.
This listing is not intended to be exhaustive, but identifies key
entities likely to be affected by this action. Other types of entities
could also be affected. To determine whether you or your business may
be affected by this action, you should carefully examine the proposed
regulatory text. If you have questions regarding the applicability of
this action to a particular entity, consult the person listed under FOR
FURTHER INFORMATION CONTACT.
B. What should I consider as I prepare my comments for AMS?
Your comments should clearly indicate whether or not they support
the proposed action for any or all of the items in this proposed rule.
You should clearly indicate the reason(s) for the stated position. Your
comments should also offer any recommended language changes that would
be appropriate for your position. Please include relevant information
and data to further support your position (e.g. scientific,
environmental, industry impact information, etc.).
Specifically, AMS is requesting comments on the following topics:
1. The clarity of the proposed requirements: Can farmers, handlers,
and certifying agents readily determine how to comply with the proposed
regulations?
2. The accuracy of the assumptions and estimates in the Regulatory
Impact Analysis and Regulatory Flexibility Analysis pertaining to
organic poultry and egg production. In addition, the accuracy of AMS'
assertion that the proposed requirements pertaining to mammalian
livestock codify current practices among these organic producers
3. The implementation approach and timeframe. AMS is proposing that
all provisions of this rule must be implemented within one year of the
publication date of the final rule except for the outdoor space
requirements for avian species. AMS is proposing two distinct
implementation timeframes for the outdoor space requirements for
poultry: (1) Three years after the publication of the final rule any
non-certified facility would need to comply in order to obtain
certification; (2) all facilities certified prior to that three-year
mark would need to comply within five years of the publication of the
final rule.
II. Background
This proposed rule addresses health care, transport, slaughter and
living conditions for organic livestock. However, the provisions for
outdoor access for poultry have a long history of agency and NOSB
actions and are a focal issue. Outdoor access practices, particularly
for organic layers, vary; some operations provide large, open-air
outdoor areas, while others provide minimal outdoor space or use
screened, covered enclosures commonly called ``porches'' to provide
outdoor space. An audit in 2010 conducted by the USDA Office of the
Inspector General identified inconsistencies in certification practices
regarding the use of porches as outdoor space. To address that finding,
AMS issued draft guidance. However, after public comment, AMS
determined that rulemaking was necessary to resolve the divergent
outdoor access practices for organic poultry and did not finalize the
guidance. To assist with the rulemaking, the National Organic Standards
Board (NOSB) developed a series of recommendations to clarify organic
livestock healthcare, transport, slaughter, and living conditions,
including outdoor access for poultry. The NOSB deliberation process
revealed broad support within the organic community and consumer
expectations for specific guidelines for animal care, including
meaningful outdoor access for poultry.
A. Current Organic Livestock Standards
OFPA authorizes the establishment of national standards for the
marketing of organically produced agricultural products. AMS
administers the National Organic Program (NOP), which oversees the
development and implementation of the national standards for the
production, handling and marketing of organically produced agricultural
products. Section 6509 of OFPA authorizes the USDA to implement
regulations regarding standards for organic livestock products.
Furthermore, OFPA authorizes the creation of the NOSB to advise USDA
about the implementation of standards and practices for organic
production (7 U.S.C. 6518). The NOSB is a 15-member Federal Advisory
Board appointed by the Secretary of Agriculture which meets in public
twice annually. OFPA specifies the composition of the NOSB and reserves
four NOSB seats for producers/growers, two seats for handlers/
processors. The NOSB solicits public comment on topics related to the
USDA organic regulations to inform its public deliberations and
decision making at the open meetings. Any NOSB recommendations to amend
the USDA organic regulations must be implemented through the notice and
comment rulemaking process.
The current USDA organic regulations have broad and general
requirements for
[[Page 21958]]
ensuring the welfare of certified organic livestock and poultry. These
regulations accommodate various livestock production situations. For
all livestock, the regulations require: an environment that allows
animals to express natural behaviors; preventive health care to reduce
the likelihood of illness; and protection from conditions that
jeopardize an animal's well-being, such as predators and adverse
weather.
The management of domesticated animals requires that they be
contained in some manner, either to prevent them from running away or
to protect them from harm. In organic management systems, securing
animal access areas is important to ensure animals do not come into
contact with prohibited substances or eat nonorganic feed. However, the
degree to which animals are restrained or contained in pens, cages,
paddocks, or other enclosures, may affect their ability to exercise
their natural behaviors.
Consistent with organic farming principles, the USDA organic
regulations require housing and living conditions that allow animals to
freely exercise their natural behaviors. Natural behaviors are species-
specific. Therefore, for example, the USDA organic regulations require
that ruminants graze at least 120 days per year and receive 30 percent
of dry matter intake from grazing. The regulations also describe
situations that warrant denying ruminant animals access to pasture or
the outdoors, e.g., for newborn dairy cattle up to six months. This
level of specificity, however, is not currently provided for avian
species and some mammalian, non-ruminant livestock.
Further, certifying agents inspect each organic operation and
decide whether or not to certify the operation. Certifying agents must
consider site-specific conditions, including prevalent pests and
diseases, weather, and natural resources of the operation when
determining the acceptability of a particular management practice. This
flexibility, combined with numerous combinations of environmental,
cultural, and economic factors, results in variation in the manner in
which the regulations are applied. For example, in organic poultry
production, outdoor access ranges from extensive pasture to roofed
enclosures, i.e., porches with no access to soil or vegetation. This
disparity in amounts of outdoor access has economic implications for
producers and lessens consumer confidence in the organic label.
B. NOSB Recommendations
Between 1994 and 2011, the NOSB made nine recommendations regarding
livestock health and welfare in organic production. Between 1997 and
2000, AMS issued two proposed rules and a final rule regarding national
standards for the production and handling of organic products,
including livestock and their products. The NOSB as well as members of
the public commented on these rulemakings with regard to the health and
welfare of livestock. Key actions from that period, which led to the
development of the existing standards on organic livestock, are
summarized below.
(1) In June 1994, the NOSB recommended a series of provisions to
address the care and handling of livestock on organic farms. Within
this recommendation, the NOSB developed much of the framework for
organic care and welfare of animals, including health care standards,
living conditions and transportation of livestock practices.
(2) In April and October 1995, the NOSB made a series of
recommendations as addendums to the June 1994 recommendations. These
recommendations further addressed various health care practices, a
requirement for outside access, and the use of vaccines.
(3) On December 16, 1997, AMS responded to the 1994 and 1995 NOSB
recommendations in a proposed rule to establish the NOP (62 FR 65850).
Consistent with the NOSB's recommendation, the proposed language would
have required that organic livestock producers develop a preventive
health care plan and use synthetic drugs only if preventive measures
failed. The 1997 proposed rule also included standards for livestock
living conditions, including when animals would be permitted to be
confined. This proposed rule was not finalized.
(4) In March 1998, the NOSB reaffirmed its earlier recommendations
on animal health care and living conditions. The 1998 NOSB
recommendation also stressed the importance of treating sick livestock
by recommending that any organic producer who did not take specified
actions to provide care for a diseased animal would lose certification.
This recommendation also included provisions to clarify when livestock
could be confined indoors and defined ``outdoors'' as having direct
access to sunshine.
(5) On March 13, 2000, AMS published a second proposed rule to
establish the National Organic Program (65 FR 13512). AMS responded to
the NOSB's March 1998 recommendation on animal health care and living
conditions in this proposed rule. AMS proposed that organic producers
must use disease prevention practices first, then approved synthetic
medications only if preventive measures failed. However, a producer
would need to use all appropriate measures to save the animal even if
the animal lost organic status. In addition, AMS proposed that the
living conditions for organic livestock must maintain the health of the
animals and allow for natural behaviors, including access to the
outdoors.
(6) On December 21, 2000, AMS published a final rule establishing
the USDA organic regulations (65 FR 80548). Through this action, AMS
finalized the standards for health care practices and livestock living
conditions. That rule became effective on February 20, 2001, and was
fully implemented on October 21, 2002.
(7) In May 2002, the NOSB again addressed outdoor access, stating
this should include open air and direct access to sunshine.\1\ In
addition, the May 2002 recommendation stated that bare surfaces other
than soil do not meet the intent of outdoor access for poultry. This
recommendation also included clarifications as to when livestock could
be temporarily confined.
---------------------------------------------------------------------------
\1\ NOSB, 2002. Recommendation Access to Outdoors for Poultry.
Available at: https://www.ams.usda.gov/rules-regulations/organic/nosb/recommendations.
---------------------------------------------------------------------------
(8) In March 2005, the NOSB recommended that the temporary
confinement provision for ``stage of production'' be changed to ``stage
of life.'' \2\ The NOSB reasoned that ``stage of life'' would more
appropriately allow livestock to be temporarily confined even if they
were not producing milk or eggs at the time of confinement.
---------------------------------------------------------------------------
\2\ NOSB, 2005. Formal Recommendation by the NOSB to the NOP.
NOSB recommendation for Rule change--``Stage of Production'' to
``Stage of Life.'' Available at: https://www.ams.usda.gov/rules-regulations/organic/nosb/recommendations.
---------------------------------------------------------------------------
(9) On October 24, 2008, AMS published a proposed rule on access to
pasture for ruminant livestock (73 FR 63584). AMS published the final
rule, Access to Pasture (Livestock) (75 FR 7154), on February 17, 2010
(75 FR 7154). This rule was based on several NOSB recommendations
regarding ruminant livestock feed and living conditions. This rule set
a requirement that ruminants obtain a minimum of 30 percent dry matter
intake from grazing during the grazing season.
(10) Between 2009 and 2011, the NOSB issued a series of
[[Page 21959]]
recommendations on animal welfare. These were intended to incorporate
prior NOSB recommendations that AMS had not addressed. The November
2009 recommendation suggested revisions and additions to the livestock
health care practice standards and living conditions standards.\3\ The
NOSB recommended banning or restricting certain physical alterations
and requiring organic producers to keep records on animals which were
lame and/or sick and how they were treated. This recommendation
proposed to separate mammalian living conditions from avian living
conditions sections of the USDA organic regulations so that the
provisions could be more directly tailored to various livestock
species. In the mammalian section, the NOSB proposed mandatory group
housing of swine and a requirement for rooting materials for swine. In
the avian section, the NOSB proposed a variety of provisions, including
maximum ammonia levels, perch space requirements and outdoor access
clarifications.
---------------------------------------------------------------------------
\3\ NOSB, 2009. Formal Recommendation by the NOSB to the NOP,
Animal Welfare. Available at: https://www.ams.usda.gov/rules-regulations/organic/nosb/recommendations.
---------------------------------------------------------------------------
(11) In October 2010, the NOSB passed a recommendation on the use
of drugs for pain relief.\4\ The NOSB recommended changing the health
care practice standards to allow the administration of drugs in the
absence of illness to prevent disease or alleviate pain. The NOSB
stated that such a change would improve the welfare of organic
livestock.
---------------------------------------------------------------------------
\4\ NOSB, 2010. Formal Recommendation by the NOSB to the NOP,
Clarification of 205.238(c)(2). Available at: https://www.ams.usda.gov/rules-regulations/organic/nosb/recommendations.
---------------------------------------------------------------------------
(12) In December 2011, the NOSB passed an additional animal welfare
recommendation.\5\ The 2011 recommendation added definitions for terms
related to livestock production and provisions for health care standard
and living conditions. The NOSB also revised its prior recommendation
on physical alterations to provide a more inclusive list of banned
procedures. In the mammalian living conditions section, the NOSB
recommended that outdoor access for swine include a minimum of 25
percent vegetative cover at all times. For avian species, the NOSB
recommended specific indoor and outdoor space requirements, e.g.,
stocking densities, among other provisions for living conditions
specific to poultry. For layers, the NOSB recommended a minimum of 2.0
ft\2\ per bird indoors and outdoors.
---------------------------------------------------------------------------
\5\ NOSB, 2011. Formal Recommendation by the NOSB to the NOP,
Animal Welfare and Stocking Rates. Available at: https://www.ams.usda.gov/rules-regulations/organic/nosb/recommendations.
---------------------------------------------------------------------------
(13) In December 2011, the NOSB passed a separate recommendation to
add standards for transportation of livestock to slaughter facilities
and the slaughter process.\6\ The NOSB's recommendation for transport
included provisions for veal calves and the trailers/trucks used to
transport animals to ensure continuous organic management. The NOSB
recommended that slaughter facilities must meet certain performance-
based standards assessed via observations of animal handling and any
slips, falls or vocalizations before and during slaughter.
---------------------------------------------------------------------------
\6\ NOSB, 2011. Formal Recommendation by the NOSB to the NOP,
Animal Handling and Transport to Slaughter. Available at: https://www.ams.usda.gov/rules-regulations/organic/nosb/recommendations.
---------------------------------------------------------------------------
C. AMS Policy
On October 29, 2002, AMS issued a memorandum to clarify outdoor
access and temporary confinement requirements for livestock under the
USDA organic regulations.\7\ The memorandum stated that producers are
required to balance accommodations for an animal's health and natural
behavior with measures to ensure an animal's safety and well-being. The
memorandum further explained that the USDA organic regulations do not
specify an outdoor space allowance or stocking rate, nor do they
require that all animals in the herd or flock have access to the
outdoors at the same time. This memorandum explained how producers
could provide evidence of compliance to support temporary confinement.
This memorandum was incorporated into the NOP Handbook on January 31,
2011, and is retained as current policy.
---------------------------------------------------------------------------
\7\ National Organic Program, 2002. Access to the Outdoors for
Livestock. Retained as Policy Memo 11-5. Available in the NOP
Handbook: https://www.ams.usda.gov/rules-regulations/organic/handbook.
---------------------------------------------------------------------------
On February 17, 2010, AMS published a final rule on Access to
Pasture (Livestock). The final rule was in response to the 2005 NOSB
recommendation and extensive public input requesting clear outdoor
access requirements for ruminant livestock. The final rule established
that ruminants obtain at least 30 percent dry matter intake from
grazing during the grazing season. The rule provided clarity to correct
inconsistent application and enforcement of the outdoor access
provisions for ruminant livestock.
In March 2010, the USDA Office of the Inspector General (OIG)
issued a report concerning, in part, AMS guidance on outdoor access for
organic livestock.\8\ The OIG found inconsistent certification
practices regarding outdoor access for poultry. The OIG recommended
that AMS issue guidance on outdoor access for livestock and poultry.
---------------------------------------------------------------------------
\8\ USDA, Office of the Inspector General. March 2010. Audit
Report 01601-03-Hy, Oversight of the National Organic Program.
Available at: https://www.usda.gov/oig/rptsauditsams.htm.
---------------------------------------------------------------------------
On October 13, 2010, AMS published draft guidance, Outdoor Access
for Organic Poultry, for public comment.\9\ The draft guidance advised
certifying agents to use the 2002 and 2009 NOSB recommendations as the
basis for certification decisions regarding outdoor access for
poultry.\10\ The draft guidance informed certifying agents and
producers that maintaining poultry on soil or outdoor runs would
demonstrate compliance with the outdoor access requirement in Sec.
205.239.
---------------------------------------------------------------------------
\9\ On October 13, 2010, AMS also published a Notice of
Availability of Draft Guidance and Request for Comments in the
Federal Register (75 FR 62693).
\10\ The 2002 and 2009 NOSB recommendations included daily
outdoor access from an early age and access to direct sunlight, open
air and soil.
---------------------------------------------------------------------------
AMS received 69 comments on the draft guidance. Comments varied
widely. Some supported more specific and stringent stocking densities
and soil-based outdoor access, citing animal health and environmental
benefits. Other comments favored maintaining an allowance for porches
as acceptable outdoor access, citing biosecurity and animal health
concerns.
Commenters stated that the draft guidance was unenforceable and
would not ensure year-round outside access for poultry. These
commenters suggested a minimum stocking rate of 1.75 square feet per
bird in henhouses that also provide access to perches, with an
additional 5 square feet per bird available in vegetated outdoor runs,
which should be accessible to all birds at the same time. A number of
commenters, including poultry producers, supported outdoor access on
soil, pasture or other vegetation, and described health benefits and
protection of the environment that a pasture or other vegetated outdoor
access area would afford.
One trade association, some organic egg producers, and consultants
described the use of production systems that limit outdoor access via
the use of enclosed porches so that poultry are not in contact with
soil or pasture. These commenters described the benefits of these
systems: Protection from predation, pathogens that cause food safety
problems, exposure to parasites,
[[Page 21960]]
and contact with wild birds that could carry diseases. The commenters
asserted that these systems are consistent with the 2002 NOSB
recommendation. They noted that organic egg producers have made
substantial investments in facilities with porches. Some also expressed
concerns that placing birds on soil would affect their ability to
comply with the Food and Drug Administration's salmonella prevention
food safety regulations (21 CFR part 118). Several producers expressed
concern with the 2009 NOSB recommendation that pullets be given outdoor
access at 6 weeks of age, because pullets are not fully immunized
(including for protection against salmonella) until 16 weeks of age,
and should not be exposed to uncontrolled environments until that time.
Given the comments and the request for rulemaking, AMS determined
to pursue rulemaking to clarify outdoor access for poultry and did not
finalize the draft guidance. Because the current regulations permit a
range of practices for providing outdoor access for livestock, AMS
could not enforce a narrower interpretation through guidance or
additional training for certifying agents. Instructing certifiers to
compel compliance with requirements that are more specific than the
regulations could only be resolved through rulemaking.
D. Related Issues
Some organic poultry operations provide outdoor access through
porches. These porch systems proliferated after a 2002 AMS
administrative appeal decision ordering the certification of an
operation that provided porches exclusively for outdoor access. If
finalized, this rule would supersede the 2002 appeal decision.
On July 15, 2002, an operation applied for organic certification of
its egg laying operation with a USDA accredited certifying agent. As
part of the application, the operation's Organic System Plan (OSP)
stated that outdoor access would be provided through covered and
screened porches. The certifying agent denied certification for failure
to provide hens with access to the outdoors. The certifying agent
stated that a porch did not provide outdoor access as required by the
USDA organic regulations. The operation appealed the Denial of
Certification to the AMS Administrator on October 22, 2002. The
Administrator determined that poultry porches could be allowed because
the regulations do not specify outdoor space requirements. The appeal
was sustained on October 25, 2002, and the certifying agent was
directed to grant organic certification to the operation retroactively
to October 21, 2002.
The certifying agent objected to the Administrator's decision and
appealed to the USDA Office of the Administrative Law Judge (ALJ). On
November 4, 2003, the USDA ALJ dismissed the appeal. On December 11,
2003, the certifying agent appealed to the USDA Judicial Officer. On
April 21, 2004, the USDA Judicial Officer dismissed the appeal. On
September 27, 2005, the certifying agent filed an appeal with the U.S.
District Court, District of Massachusetts. On March 30, 2007, the U.S.
District Court dismissed the case for lack of standing (Massachusetts
Independent Certification, Inc v. Johanns. 486 F.Supp.2d 105).
III. Overview of Proposed Amendments
A. Definitions in Sec. 205.2
----------------------------------------------------------------------------------------------------------------
Section title Current wording Type of action Proposed action
----------------------------------------------------------------------------------------------------------------
205.2............................. Terms Defined...........
205.2............................. N/A..................... New term............... Beak trimming. The
removal of the curved
tip of the beak.
205.2............................. N/A..................... New term............... Caponization. Castration
of chickens, turkeys,
pheasants and other
avian species.
205.2............................. N/A..................... New term............... Cattle wattling. The
surgical separation of
two layers of the skin
from the connective
tissue along a 2 to 4
inch path on the dewlap,
neck or shoulders used
for ownership
identification.
205.2............................. N/A..................... New term............... De-beaking. The removal
of more than the beak
tip.
205.2............................. N/A..................... New term............... De-snooding. The removal
of the turkey snood (a
fleshy protuberance on
the forehead of male
turkeys).
205.2............................. N/A..................... New term............... Dubbing. The removal of
poultry combs and
wattles.
205.2............................. N/A..................... New term............... Indoors. The flat space
or platform area which
is under a solid roof.
On each level the
animals have access to
food and water and can
be confined if
necessary. Indoor space
for avian species
includes, but is not
limited to:
Pasture housing. A mobile
structure for avian
species with 70 percent
perforated flooring.
Aviary housing. A fixed
structure for avian
species which has
multiple tiers/levels
with feed and water on
each level.
Slatted/mesh floor
housing. A fixed
structure for avian
species which has both:
(1) A slatted floor
where perches, feed and
water are provided over
a pit or belt for manure
collection; and (2)
litter covering the
remaining solid floor.
Floor litter housing. A
fixed structure for
avian species which has
absorbent litter
covering the entire
floor.
205.2............................. N/A..................... New term............... Mulesing. The removal of
skin from the buttocks
of sheep, approximately
2 to 4 inches wide and
running away from the
anus to the hock to
prevent fly strike.
205.2............................. N/A..................... New term............... Outdoors. Any area in the
open air with at least
50 percent soil, outside
a building or shelter
where there are no solid
walls or solid roof
attached to the indoor
living space structure.
Fencing or netting that
does not block sunlight
or rain may be used as
necessary.
205.2............................. N/A..................... New term............... Perch. A rod or branch
type structure that
serves as a roost and
allows birds to utilize
vertical space in the
house.
205.2............................. N/A..................... New Term............... Pullet. A female chicken
or other avian species
being raised for egg
production that has not
yet started to lay eggs.
205.2............................. N/A..................... New term............... Roost. A flat structure
over a manure pit that
allows birds to grip
with their toes as they
would on a perch.
205.2............................. N/A..................... New term............... Soil. The outermost layer
of the earth comprised
of minerals, water, air,
organic matter, fungi
and bacteria in which
plants may grow roots.
205.2............................. N/A..................... New term............... Stocking density. The
weight of animals on a
given unit of land at
any one time.
[[Page 21961]]
205.2............................. N/A..................... New term............... Toe clipping. The removal
of the nail and distal
joint of the back two
toes of a male bird.
----------------------------------------------------------------------------------------------------------------
AMS is proposing to add fifteen new terms to Sec. 205.2: Beak
trimming, caponization, cattle wattling, de-beaking, de-snooding,
dubbing, indoors, mulesing, outdoors, perch, pullet, roost, soil,
stocking density and toe clipping.
AMS is proposing to prohibit several physical alterations on
organic livestock. AMS is proposing to define eight terms, below,
related to these physical alterations so that certifying agents and
producers may ensure that they do not inadvertently perform a
prohibited physical alteration which may be known by a different name
locally.
Beak trimming would be defined as the removal of the curved tip of
the beak.
Caponization would be defined as the castration of chickens,
turkeys, pheasants and other avian species.
Cattle wattling would be defined as the surgical separation of two
layers of the skin from the connective tissue along a 2 to 4 inch path
on the dewlap, neck, or shoulders used for ownership identification.
De-beaking would be defined as the removal of more than the beak
tip.
De-snooding would be defined as the removal of the turkey snood (a
fleshy protuberance on the forehead of male turkeys).
Dubbing would be defined as the removal of poultry combs and
wattles.
Mulesing would be defined as the removal of skin from the buttocks
of sheep, approximately 2 to 4 inches wide and running away from the
anus to the hock to prevent fly strike.
Toe clipping would be defined as the removal of the nail and distal
joint of the back two toes of a male bird.
AMS is proposing to define ``outdoors'' to add more specificity to
the existing requirement in the livestock living conditions section (7
CFR 205.239(a)(1)) that livestock have access to the outdoors.
``Outdoors'' would be defined as any area in the open air with at least
50 percent soil, outside a building or shelter where there are no solid
walls or solid roof attached to the indoor living space structure.
Fencing or netting that does not block sunlight or rain may be used as
necessary. Consistent with the NOSB recommendation, this definition
would exclude porches and other structures attached to the indoor
living space as outdoor areas. For biosafety and animal welfare
purposes, fencing or overhead netting that does not block sunlight or
rain would be permitted to prevent predators and other wild birds from
entering the outdoor area.
Structures for shade are permitted in the outdoor space. The area
within a standalone, roofed, shade structure could be included as
outdoor space area, provided it is not attached to the indoor space
structure. Roofed areas attached to the building are not considered
outdoor areas. This is consistent with the 2011 NOSB recommendation
that stated that covered porches should not be considered outdoor
access. This is also consistent with FDA's draft guidance on outdoor
access under the FDA Prevention of Salmonella Enteritidis in Shell Eggs
regulations \11\ which states that covered porches are part of the
poultry house. Many producers use portable or permanent shade
structures throughout their pastures. The area under these shade
structures, as long as it is not attached to the structure used for
indoor access, could be an allowed area under the outdoor access space
requirement. The area under the eaves or under structures attached to
the indoor space structure is not to be calculated as outdoor space
area to ensure that porches and similar structures are not construed as
outdoor space.
---------------------------------------------------------------------------
\11\ Draft Guidance for Industry: Questions and Answers
Regarding the Final Rule, Prevention of Salmonella Enteritidis in
Shell Eggs During Production, Storage, and Transportation (Layers
with Outdoor Access) https://www.fda.gov/food/guidanceregulation/guidancedocumentsregulatoryinformation/eggs/ucm360028.htm.
---------------------------------------------------------------------------
The proposed definition of ``outdoors'' would specify that outdoor
areas for all livestock have access to the soil. This supports natural
behaviors across species. For example, soil-based outdoor access will
encourage rooting and wallowing among swine and dust bathing and
foraging among poultry.
AMS is proposing to define ``soil'' as the outermost layer of the
earth comprised of minerals, water, air, organic matter, fungi, and
bacteria, in which plants may grow roots. Livestock producers must
include contact with soil when providing outdoor access to livestock in
a manner that maintains and improves natural resources.
AMS is proposing to define ``stocking density'' as the maximum
weight of animals on a given unit of land at any one time.
Specifically, the minimum outdoor space requirements for poultry are
based on stocking density as measured by the maximum pounds of bird on
a square foot of land at a given time. AMS also considered basing the
stocking density requirements on the minimum area per bird (i.e.,
square feet per animal). AMS proposes to measure stocking density using
weight to compensate for different-sized avian species (chickens,
turkeys) and varieties (e.g., different breeds of layers). Stocking
density would be calculated on the given size of the outdoor land to
which the birds are provided access. As an example, if one acre of land
is divided into two half acre parcels and the birds are rotated between
the two parcels, then the stocking density would be calculated using
the one-half acre to which the birds have access.
AMS is proposing to define ``indoors'' as the flat space or
platform area under a solid roof where the animals have access to both
food and water and can be confined if necessary. Indoor space would be
calculated by adding the square footage of the following roofed areas:
(1) Ground level, which may have perches embedded or placed on the
ground; (2) multi-level platforms, which provide water and feed on each
elevation from which the birds can freely access the outdoors; (3)
porches, which are accessible to the birds at all times. Space in
porches may not be included in the calculation for indoor space if the
doors are closed due to inclement weather or threat of diseases.
AMS is further clarifying the indoor living space requirements by
defining several elements that will need to be included in that area.
This proposal would define a ``perch'' as a rod- or branch-type
structure that serves as a roost and allows birds to utilize vertical
space in the house. This proposal would define a ``roost'' as a flat
structure over a manure pit that allows birds to grip with their toes
as they would on a perch.
AMS is proposing to define ``pullet'' as a female chicken or other
avian species being raised for egg production that has not yet started
to lay eggs. While pullet is sometimes used to describe young broilers
which are used for meat production, AMS is using the
[[Page 21962]]
term pullet to describe females of avian species which are being raised
to produce eggs in the future but have not yet reached sexual maturity
and have not begun producing eggs. Once avian females begin laying
eggs, AMS refers to them as layers. AMS modified the definition of
pullet, which is used by the AMS Livestock, Poultry and Seed Program,
to include species other than chickens.
B. Livestock Health Care Practice Standard
----------------------------------------------------------------------------------------------------------------
Section title Current wording Proposed action Proposed wording
----------------------------------------------------------------------------------------------------------------
205.238........................... Livestock Health Care No Change. .........................
Practice Standard.
205.238(a)........................ (a) The producer must No change............
establish and maintain
preventive livestock
health care practices,
including:
205.238(a)(1)..................... (1) Selection of species No change............
and types of livestock
with regard to
suitability for site-
specific conditions and
resistance to prevalent
diseases and parasites;
205.238(a)(2)..................... (2) Provision of a feed Revision............. (2) Provision of a feed
ration sufficient to meet ration sufficient to
nutritional requirements, meet nutritional
including vitamins, requirements, including
minerals, protein and/or vitamins, minerals,
amino acids, fatty acids, protein and/or amino
energy sources, and fiber acids, fatty acids,
(ruminants); energy sources, and
fiber (ruminants),
resulting in appropriate
body condition.
205.238(a)(3)..................... (3) Establishment of No change............
appropriate housing,
pasture conditions, and
sanitation practices to
minimize the occurrence
and spread of diseases
and parasites;
205.238(a)(4)..................... (4) Provision of No change............
conditions which allow
for exercise, freedom of
movement, and reduction
of stress appropriate to
the species;
205.238(a)(5)..................... (5) Performance of Revision............. (5) Physical alterations
physical alterations as may be performed to
needed to promote the benefit the welfare or
animal's welfare and in a hygiene of the animals,
manner that minimizes or for identification
pain and stress; and purposes or safety.
Physical alterations
must be performed on
livestock at a
reasonably young age,
with minimal stress and
pain and by a competent
person.
205.238(a)(5)(i).................. .......................... New.................. (i) The following
practices may not be
routinely used and must
be used only with
documentation that
alternatives methods to
prevent harm failed:
needle teeth trimming
(no more than top 1/3rd
of the tooth) in pigs
and tail docking in
pigs.
205.238(a)(5)(ii)................. .......................... New.................. (ii) The following
practices must not be
performed on a certified
operation: de-beaking,
de-snooding,
caponization, dubbing,
toe trimming of
chickens, toe trimming
of turkeys unless with
infra-red at hatchery,
beak trimming after 10
days of age, tail
docking of cattle,
wattling of cattle, face
branding of cattle, tail
docking of sheep shorter
than the distal end of
the caudal fold, and
mulesing of sheep.
205.238(a)(6)..................... (6) Administration of No change............
vaccines and other
veterinary biologics.
205.238(a)(7)..................... .......................... New.................. (7) All surgical
procedures necessary to
treat an illness shall
be undertaken in a
manner that employs best
management practices in
order to minimize pain,
stress, and suffering,
with the use of
appropriate and allowed
anesthetics, analgesics,
and sedatives.
205.238(a)(8)..................... .......................... New.................. (8) Monitoring of
lameness and keeping
records of the percent
of the herd or flock
suffering from lameness
and the causes.
[[Page 21963]]
205.238(a)(9)..................... .......................... New.................. (9) Ammonia levels in
poultry houses must be
less than 25 parts per
million indoors. When
ammonia levels in
poultry houses exceed 10
parts per million, an
operation must implement
additional practices to
reduce the ammonia
levels below 10 parts
per million.
205.238(b)........................ (b) When preventive No change............
practices and veterinary
biologics are inadequate
to prevent sickness, a
producer may administer
synthetic medications:
Provided, that, such
medications are allowed
under Sec. 205.603.
Parasiticides allowed
under Sec. 205.603 may
be used on:
205.238(b)(1)..................... (1) Breeder stock, when No change............
used prior to the last
third of gestation but
not during lactation for
progeny that are to be
sold, labeled, or
represented as
organically produced; and
205.238(b)(2)..................... (2) Dairy stock, when used No change............
a minimum of 90 days
prior to the production
of milk or milk products
that are to be sold,
labeled, or represented
as organic
205.238(b)(3)..................... .......................... New.................. (3) Synthetic medications
may be administered in
the presence of illness
or to alleviate pain and
suffering: Provided,
that such medications
are allowed under Sec.
205.603.
205.238(c)........................ (c) The producer of an No change............
organic livestock
operation must not:
205.238(c)(1)..................... (1) Sell, label, or Revision............. (1) Sell, label, or
represent as organic any represent as organic any
animal or edible product animal or edible product
derived from any animal derived from any animal
treated with antibiotics, treated with
any substance that antibiotics, any
contains a synthetic substance that contains
substance not allowed a synthetic substance
under Sec. 205.603, or not allowed under Sec.
any substance that 205.603, or any
contains a nonsynthetic substance that contains
substance prohibited in a nonsynthetic substance
Sec. 205.604. prohibited in Sec.
205.604. Milk from
animals undergoing
treatment with synthetic
substances allowed under
Sec. 205.603 having
withholding time, cannot
be sold as organic but
may be fed to their own
offspring. Milk from
animals undergoing
treatment with
prohibited substances
cannot be sold as
organic or fed to
organic livestock.
205.238(c)(2)..................... (2) Administer any animal Revision............. (2) Administer any animal
drug, other than drug in the absence of
vaccinations, in the illness or to alleviate
absence of illness; pain or suffering, with
the exception of
vaccinations and other
veterinary biologics.
205.238(c)(3)..................... (3) Administer hormones Revision............. (3) Administer hormones
for growth promotion; for growth promotion,
production or
reproduction.
205.238(c)(4)..................... (4) Administer synthetic No change............
parasiticides on a
routine basis;
205.238(c)(5)..................... (5) Administer synthetic No change............
parasiticides to
slaughter stock;
205.238(c)(6)..................... (6) Administer animal No change............
drugs in violation of the
Federal Food, Drug, and
Cosmetic Act; or
205.238(c)(7)..................... (7) Withhold medical No change............
treatment from a sick
animal in an effort to
preserve its organic
status. All appropriate
medications must be used
to restore an animal to
health when methods
acceptable to organic
production fail.
Livestock treated with a
prohibited substance must
be clearly identified and
shall not be sold,
labeled, or represented
as organically produced.
[[Page 21964]]
205.238(c)(8)..................... .......................... New.................. (8) Withhold individual
treatment designed to
minimize pain and
suffering for injured,
diseased, or sick
animals, which may
include forms of
euthanasia as
recommended by the
American Veterinary
Medical Association.
205.238(c)(9)..................... .......................... New.................. (9) Neglect to identify
and record treatment of
sick and injured animals
in animal health
records.
205.238(c)(10).................... .......................... New.................. (10) Practice forced
molting or withdrawal of
feed to induce molting.
205.238(d)........................ .......................... New.................. (d) Organic livestock
operations must have
comprehensive plans to
minimize internal
parasite problems in
livestock. The plan will
include preventive
measures such as pasture
management, fecal
monitoring, and
emergency measures in
the event of a parasite
outbreak. Parasite
control plans shall be
approved by the
certifying agent.
205.238(e)........................ .......................... New.................. (e) Euthanasia.
205.238(e)(1)..................... .......................... New.................. (1) Organic livestock
producers must have
written plans for
prompt, humane
euthanasia for sick or
injured livestock.
205.238(e)(2)..................... .......................... New.................. (2) The following methods
of euthanasia are not
permitted: suffocation;
blow to the head by
blunt instrument; and
the use of equipment
that crushes the neck,
including killing pliers
or burdizzo clamps.
205.238(e)(3)..................... .......................... New.................. (3) Following a
euthanasia procedure,
livestock must be
carefully examined to
ensure that they are
dead.
----------------------------------------------------------------------------------------------------------------
AMS is proposing to amend current provisions in and add new
provisions to the health care practice standards. The proposed
amendment to Sec. 205.238(a)(2) would specify that the sufficiency of
the feed ration would be demonstrated by appropriate body condition of
the livestock. Livestock producers would need to monitor their animals
to ensure body condition is being maintained. In addition, certifying
agents would need to verify the nutritional adequacy of the animals'
diet by assessing the body condition of organic livestock during
inspection. Suitable body condition varies between species, between
breeds, and between production types. A suitable condition for dairy
cattle may be considered too thin in beef cattle. Producers who
routinely monitor body condition of their livestock will be more likely
to discover a health or feed issue early, before the animal suffers.
AMS plans to provide further information about body condition
assessment through published guidance to assist certifiers, inspectors,
and producers assess body condition in different species.
AMS proposes to revise Sec. 205.238(a)(5) to clarify the
conditions under which physical alterations may be performed on
livestock. Physical alterations may be performed for only certain
reasons, including an animal's welfare, hygiene, identification, or
safety. Alterations must be done at a reasonably young age with minimal
pain or stress to the animal, and only by a person who is competent to
perform the procedure. Competency may be demonstrated by training or
experience of the person performing the alterations or may be
demonstrated by the training or experience of the person training the
person performing the alterations.
AMS is proposing to add a new Sec. 205.238(a)(5)(i) to list the
physical alterations that are not allowed on a routine basis, but may
be performed on an as-needed basis. Needle teeth trimming and tail
docking in pigs may only be performed in response to documented animal
welfare reasons when alternative steps to prevent harm fail. Teeth
clipping, if performed, would be limited to the top third of the each
needle tooth. For example, an organic swine producer who clipped needle
teeth or performed tail docking would need to document excessive needle
teeth scarring on the underline of the sow or piglets or document tail
biting on piglets in the litter. Swine producers would also need to
document that alternative methods failed. Such alternative methods may
include, but are not limited to, cross-fostering prior to teat fidelity
across litters to minimize weight variation, providing sufficient
enrichment materials, and providing vegetation for rooting.
In the 2009 recommendation, the NOSB recommended that needle teeth
clipping and piglet tail docking be allowed, but retracted that in its
2011 recommendation. In consideration of NOSB preferences and producer
needs, AMS is proposing to restrict the use of these procedures to
situations when alternative methods of preventing injury fail and the
producer documents the harm to animals prior to performing either
physical alteration.
AMS is proposing to add a new Sec. 205.238(a)(5)(ii) to list the
physical alterations that are prohibited in an organic operation. The
following physical alterations would be prohibited under this proposal:
De-beaking, de-snooding, caponization, dubbing, toe trimming of
chickens, toe trimming of turkeys unless with infra-red at hatchery,
beak trimming after 10 days of age, tail docking of cattle, wattling of
cattle, face branding of cattle, tail docking of sheep shorter than the
distal end of the caudal fold, and mulesing of sheep.
AMS is proposing to add a new Sec. 205.238(a)(7) which would
specify that surgical procedures on livestock to
[[Page 21965]]
treat an illness must be done in a manner which minimizes pain, stress,
and suffering. The NOSB recommended that all surgical procedures for
livestock be done with the use of anesthetics, analgesics, and
sedatives. AMS is proposing that all surgical procedures for treatment
of disease shall be undertaken in a manner that employs best management
practices in order to minimize pain, stress, and suffering, and only
with the use of anesthetics, analgesics, and sedatives listed in Sec.
205.603.
AMS is proposing to add a new Sec. 205.238(a)(8) to require
organic producers to actively monitor lameness within the herd or flock
and to document the cases of lameness. Lameness can be an issue in
various livestock species including broilers, sheep, and dairy cattle.
The requirement for producers to create a plan for monitoring and
recording instances of lameness in the Organic System Plan will enable
organic livestock producers to identify and address a problem before it
becomes widespread among the animals. In addition, the records will
provide an auditable trail for certifying agents to verify that
livestock producers are monitoring this potential cause of animal
suffering.
AMS is proposing to add a new Sec. 205.238(b)(3) to state that
synthetic medications may be administered in the presence of an illness
to reduce pain and suffering, as long as those medications are allowed
under Sec. 205.603. OFPA limits the use of synthetic medications in
the absence of illness. AMS is proposing to follow the NOSB
recommendation to allow the use of synthetic substances to alleviate
pain and suffering for animals if the substances appear on the National
List. AMS is proposing to take a broad view of illness to encompass not
just instances of disease or injury, but also cases of inflammation due
to physical alterations. By providing pain relief prior to performing a
physical alteration, animal welfare is improved. In addition, by
providing pain relief, the animal undergoing the physical alteration is
less likely to make a sudden movement. Such movements can cause
infection or a more severe injury. Again, the use of pain relief prior
to the physical alteration can reduce serious complications. Physical
alterations such as dehorning result in trauma to the target tissue.
This trauma causes localized bleeding and inflammation, resulting in an
illness state.
AMS is proposing to amend Sec. 205.238(c)(1) to clarify that milk
from an animal treated with an allowed substance in Sec. 205.603,
which has a withholding time, may not be sold, labeled, or represented
as organic during that holding time. However, milk from an organic
animal or breeder stock may continue to provide milk for its own
offspring during the withholding time. As an example, if an organic
beef cow was nursing her organic offspring, was injured and then
stitched by a veterinarian using lidocaine to minimize pain and stress,
her calf could continue to nurse the dam even during the 7-day
withholding period for lidocaine (Sec. 205.603(b)(4)), without loss of
the calf's organic status. This means that the calf would still be
eligible to be organic slaughter stock. This is consistent with the
April 2010 NOSB recommendation that a calf nursing a dam treated
topically with lidocaine, or other approved synthetic with a withdrawal
time would not lose organic status.
AMS is proposing to revise Sec. 205.238(c)(2) to clarify that
other veterinary biologics, in addition to vaccines, are exempt from
the prohibition on administering animal drugs in the absence of
illness. The Center for Veterinary Biologics (CVB) regulates vaccines
and all other veterinary biologics. While vaccines are commonly used to
describe many of these products, CVB has additional categories such as
bacterins and toxoids. In addition, this change reflects the definition
for biologicals in Sec. 205.2. This supports Sec. 205.238(a)(6),
which identifies the use of vaccines and other veterinary biologics as
a required practice to improve animal health. This section again
asserts that pain relief may be administered in the absence of illness
prior to physical alterations.
AMS is proposing to amend Sec. 205.238(c)(3) to clarify that
organic livestock producers are prohibited from administering synthetic
or nonsynthetic hormones to promote growth or for production and
reproductive purposes. Hormones listed in Sec. 205.603 (e.g.,
oxytocin) may continue to be used to treat illnesses. Stakeholders have
noted that the USDA organic regulations are silent on the use of
hormones to stimulate production or for reproductive purposes. This
addition would clarify that all hormones, unless used to treat an
illness, are prohibited in organic production.
AMS is proposing to add a new provision in Sec. 205.238(c)(8) to
prohibit organic livestock producers from withholding treatment
designed to minimize pain and suffering for injured, diseased, or sick
animals. Injured, diseased, or sick animals may be treated with any
allowed natural substance or synthetic medication which appears on the
National List. However, if no appropriate medication is allowed for
organic production, organic livestock producers would be required to
administer treatments, even if the animals would lose their organic
status. Furthermore, euthanasia could be an acceptable practice for
minimizing pain and suffering.
AMS is proposing to add new Sec. 205.238(c)(9) to require
livestock producers to identify and record treatment of sick and
injured animals in animal health records. These records can enable
producers and certifying agents to quickly identify a particular
disease or ailment in an animal. Early identification can lead to more
effective prevention or treatment, which will enhance the overall
health of the livestock on that farm.
AMS is proposing to add a new provision in Sec. 205.238(c)(10) to
explicitly prohibit the practice of forced molting or withdrawal of
feed to induce molting in poultry. Forced molting, in which feed is
severely restricted for a period of time in order to rejuvenate egg
production, is prohibited under Sec. 205.238(a)(2), which requires a
nutritionally sufficient feed ration. However, forced molting was never
explicitly prohibited under the USDA organic regulations. This change
is consistent with the NOSB recommendation and a number of other third-
party animal welfare certification programs.
AMS is proposing to add a new Sec. 205.238(e) to address
euthanasia. In certain cases, livestock may be suffering from an
illness from which recovery is unlikely. For these situations, organic
livestock producers must maintain written plans for euthanizing sick or
injured livestock (Sec. 205.238(e)(1)). In new a Sec. 205.238(e)(2),
AMS is proposing to prohibit certain methods of euthanasia, including:
Suffocation, blow(s) to the head by blunt instrument, and use of
equipment that crushes the neck, (e.g., killing pliers or burdizo
clamps). In the event of an emergency situation where a local, state or
federal government agency requires the use of non-organically approved
method of euthanasia, organic livestock operations will not lose
organic certification or face other penalties for the use of non-
organically approved methods of euthanasia.
AMS is further proposing, in Sec. 205.238(e)(3), that after the
euthanasia procedure, producers must carefully examine the body to
ensure death. The NOSB recommended listing the allowable methods of
euthanasia. However, given that new humane euthanasia methods may
emerge, AMS
[[Page 21966]]
would not intend to discourage producer adoption of these techniques.
Therefore, AMS is proposing to allow organic livestock producers to use
any method of euthanasia, except for those prohibited in Sec.
205.238(e)(2). The list of prohibited methods could be amended to
include other techniques, if needed, through future rulemaking.
C. Mammalian Living Conditions
----------------------------------------------------------------------------------------------------------------
----------------------------------------------------------------------------------------------------------------
205.239........................... Livestock Living Revision............. Mammalian Livestock
Conditions. Living Conditions.
205.239(a)........................ (a) The producer of an No change............
organic livestock
operation must establish
and maintain year-round
livestock living
conditions which
accommodate the health
and natural behavior of
animals, including:
205.239(a)(1)..................... (1) Year-round access for Revision............. (1) Year-round access for
all animals to the all animals to the
outdoors, shade, shelter, outdoors, soil, shade,
exercise areas, fresh shelter, exercise areas,
air, clean water for fresh air, clean water
drinking, and direct for drinking, and direct
sunlight, suitable to the sunlight, suitable to
species, its stage of the species, its stage
life, the climate, and of life, the climate,
the environment: Except, and the environment:
that, animals may be Except, that, animals
temporarily denied access may be temporarily
to the outdoors in denied access to the
accordance with Sec. outdoors in accordance
Sec. 205.239(b) and with Sec. Sec.
(c). Yards, feeding pads, 205.239(b) and (c).
and feedlots may be used Yards, feeding pads, and
to provide ruminants with feedlots may be used to
access to the outdoors provide ruminants with
during the non-grazing access to the outdoors
season and supplemental during the non-grazing
feeding during the season and supplemental
grazing season. Yards, feeding during the
feeding pads, and grazing season. Yards,
feedlots shall be large feeding pads, and
enough to allow all feedlots shall be large
ruminant livestock enough to allow all
occupying the yard, ruminant livestock
feeding pad, or feedlot occupying the yard,
to feed simultaneously feeding pad, or feedlot
without crowding and to feed without
without competition for competition for food in
food. Continuous total a manner that maintains
confinement of any animal all animals in a good
indoors is prohibited. body condition.
Continuous total Continuous total
confinement of ruminants confinement of any
in yards, feeding pads, animal indoors is
and feedlots is prohibited. Continuous
prohibited. total confinement of
ruminants in yards,
feeding pads, and
feedlots is prohibited.
205.239(a)(2)..................... (2) For all ruminants, No change............
management on pasture and
daily grazing throughout
the grazing season(s) to
meet the requirements of
Sec. 205.237, except as
provided for in
paragraphs (b), (c), and
(d) of this section.
205.239(a)(3)..................... (3) Appropriate clean, dry Revision............. (3) Animals must be kept
bedding. When roughages clean during all stages
are used as bedding, they of life with the use of
shall have been appropriate, clean, dry
organically produced in bedding, as appropriate
accordance with this part for the species. When
by an operation certified roughages are used as
under this part, except bedding, they must be
as provided in Sec. organically produced and
205.236(a)(2)(i), and, if handled in accordance
applicable, organically with this part by an
handled by operations operation certified
certified to the NOP. under this part, except
as provided in Sec.
205.236(a)(2)(i), and,
if applicable,
organically handled by
operations certified to
the NOP.
205.239(a)(4)..................... (4) Shelter designed to No change............
allow for:
205.239(a)(4)(i).................. (i) Natural maintenance, Revision............. (i) Sufficient space and
comfort behaviors, and freedom to lie down in
opportunity to exercise; full lateral recumbence,
turn around, stand up,
fully stretch their
limbs without touching
other animals or the
sides of the enclosure,
and express normal
patterns of behavior;
205.239(a)(4)(ii)................. (ii) Temperature level, No change............
ventilation, and air
circulation suitable to
the species;
205.239(a)(4)(iii)................ (iii) Reduction of No change............
potential for livestock
injury.
205.239(a)(4)(iv)................. .......................... New.................. (iv) Areas for bedding
and resting that are
sufficiently large,
solidly built, and
comfortable so that
animals are kept clean,
dry, and free of
lesions.
205.239(a)(5)..................... The use of yards, feeding No change............
pads, feedlots and
laneways that shall be
well-drained, kept in
good condition (including
frequent removal of
wastes), and managed to
prevent runoff of wastes
and contaminated waters
to adjoining or nearby
surface water and across
property boundaries.
205.239(a)(6)..................... .......................... New.................. (6) Housing, pens, runs,
equipment, and utensils
shall be properly
cleaned and disinfected
as needed to prevent
cross infection and
build-up of disease-
carrying organisms.
205.239(a)(7)..................... .......................... New.................. (7) Dairy young stock may
be housed in individual
pens under the following
conditions:
[[Page 21967]]
205.239(a)(7)(i).................. .......................... New.................. (i) Until weaning,
providing that they have
enough room to turn
around, lie down,
stretch out when lying
down, get up, rest, and
groom themselves;
individual animal pens
shall be designed and
located so that each
animal can see, smell,
and hear other calves.
205.239(a)(7)(ii)................. .......................... New.................. (ii) Dairy young stock
shall be group-housed
after weaning.
205.239(a)(7)(iii)................ .......................... New.................. (iii) Dairy young stock
over six months of age
shall have access to the
outdoors at all times,
including access to
pasture during the
grazing season, except
as allowed under
205.239(c).
205.239(a)(8)..................... .......................... New.................. (8) Swine must be housed
in a group, except:
205.239(a)(8)(i).................. .......................... New.................. (i) Sows may be housed
individually at
farrowing and during the
suckling period;
205.239(a)(8)(ii)................. .......................... New.................. (ii) Boars.
205.239(a)(8)(iii)................ .......................... New.................. (iii) Swine with
documented instances of
aggression or recovery
from an illness.
205.239(a)(9)..................... .......................... New.................. (10) Piglets shall not be
kept on flat decks or in
piglet cages.
205.239(a)(10).................... .......................... New.................. (11) Exercise areas for
swine, whether indoors
or outdoors, must permit
rooting, including
during temporary
confinement events.
205.239(a)(11).................... .......................... New.................. (12) In confined housing
with stalls, at least
one stall must be
provided for each animal
in the facility at any
given time. A cage must
not be called a stall.
For group-housed swine,
the number of individual
feeding stalls may be
less than the number of
animals, as long as all
animals are fed
routinely over a 24-hour
period.
205.239(a)(12).................... .......................... New.................. (13) At least 50 percent
of outdoor access space
must be soil, except for
temporary conditions
which would threaten the
soil or water quality
when outdoor access must
be provided without
contact to the soil.
205.239(b)........................ (b) The producer of an No change............
organic livestock
operation may provide
temporary confinement or
shelter for an animal
because of:
205.239(b)(1)..................... (1) Inclement weather; No change............
205.239(b)(2)..................... (2) The animal's stage of No change............
life: Except, that
lactation is not a stage
of life that would exempt
ruminants from any of the
mandates set forth in
this regulation.
205.239(b)(3)..................... (3) Conditions under which No change............
the health, safety, or
well-being of the animal
could be jeopardized
205.239(b)(4)..................... (4) Risk to soil or water No change............
quality;
205.239(b)(5)..................... (5) Preventive healthcare No change............
procedures or for the
treatment of illness or
injury (neither the
various life stages nor
lactation is an illness
or injury);
205.239(b)(6)..................... (6) Sorting or shipping No change............
animals and livestock
sales: Provided, that,
the animals shall be
maintained under
continuous organic
management, including
organic feed, throughout
the extent of their
allowed confinement;
205.239(b)(7)..................... (7) Breeding: Except, Revision............. (7) Breeding: Except,
that, bred animals shall that, animals shall not
not be denied access to be confined any longer
the outdoors and, once than necessary to
bred, ruminants shall not perform the natural or
be denied access to artificial insemination.
pasture during the Animals may not be
grazing season; confined to observe
estrus; and
205.239(b)(8)..................... (8) 4-H, Future Farmers of Revision............. (8) 4-H, National FFA
America and other youth Organization, and other
projects, for no more youth projects, for no
than one week prior to a more than one week prior
fair or other to a fair or other
demonstration, through demonstration, through
the event and up to 24 the event, and up to 24
hours after the animals hours after the animals
have arrived home at the have arrived home at the
conclusion of the event. conclusion of the event.
These animals must have These animals must have
been maintained under been maintained under
continuous organic continuous organic
management, including management, including
organic feed, during the organic feed, during the
extent of their allowed extent of their allowed
confinement for the event. confinement for the
event. Notwithstanding
the requirements in Sec.
205.239 (b)(6),
facilities where 4-H,
National FFA
Organization, and other
youth events are held
are not required to be
certified organic for
the participating
animals to be sold as
organic, provided all
other organic management
practices are followed.
[[Page 21968]]
205.239(c)........................ (c) The producer of an No change............
organic livestock
operation may, in
addition to the times
permitted under Sec.
205.239(b), temporarily
deny a ruminant animal
pasture or outdoor access
under the following
conditions:
205.239(c)(1)..................... (1) One week at the end of No change............
a lactation for dry off
(for denial of access to
pasture only), three
weeks prior to
parturition (birthing),
parturition, and up to
one week after
parturition;
205.239(c)(2)..................... (2) In the case of newborn No change............
dairy cattle for up to
six months, after which
they must be on pasture
during the grazing season
and may no longer be
individually housed:
Provided, That, an animal
shall not be confined or
tethered in a way that
prevents the animal from
lying down, standing up,
fully extending its
limbs, and moving about
freely;
205.239(c)(3)..................... (3) In the case of fiber No change............
bearing animals, for
short periods for
shearing; and
205.239(c)(4)..................... (4) In the case of dairy No change............
animals, for short
periods daily for
milking. Milking must be
scheduled in a manner to
ensure sufficient grazing
time to provide each
animal with an average of
at least 30 percent DMI
from grazing throughout
the grazing season.
Milking frequencies or
duration practices cannot
be used to deny dairy
animals pasture.
205.239(d)........................ (d) Ruminant slaughter Revision............. (d) Ruminant slaughter
stock, typically grain stock, typically grain
finished, shall be finished, shall be
maintained on pasture for maintained on pasture
each day that the for each day that the
finishing period finishing period
corresponds with the corresponds with the
grazing season for the grazing season for the
geographical location: geographical location:
Except, that, yards, Except, that, yards,
feeding pads, or feedlots feeding pads, or
may be used to provide feedlots may be used to
finish feeding rations. provide finish feeding
During the finishing rations. During the
period, ruminant finishing period,
slaughter stock shall be ruminant slaughter stock
exempt from the minimum shall be exempt from the
30 percent DMI minimum 30 percent DMI
requirement from grazing. requirement from
Yards, feeding pads, or grazing. Yards, feeding
feedlots used to provide pads, or feedlots used
finish feeding rations to provide finish
shall be large enough to feeding rations shall be
allow all ruminant large enough to allow
slaughter stock occupying all ruminant slaughter
the yard, feeding pad, or stock occupying the
feed lot to feed yard, feeding pad, or
simultaneously without feedlot to feed without
crowding and without competition for food.
competition for food. The The finishing period
finishing period shall shall not exceed one-
not exceed one-fifth (\1/ fifth (\1/5\) of the
5\) of the animal's total animal's total life or
life or 120 days, 120 days, whichever is
whichever is shorter. shorter.
205.239(e)........................ (e) The producer of an No change............
organic livestock
operation must manage
manure in a manner that
does not contribute to
contamination of crops,
soil, or water by plant
nutrients, heavy metals,
or pathogenic organisms
and optimizes recycling
of nutrients and must
manage pastures and other
outdoor access areas in a
manner that does not put
soil or water quality at
risk.
----------------------------------------------------------------------------------------------------------------
AMS is proposing to separate mammalian living conditions from avian
living conditions, due to the different physiology and husbandry
practices for birds and mammals. Under this proposal, AMS would revise
the title of Sec. 205.239 from ``Livestock living conditions'' to
``Mammalian Livestock Living Conditions''. Avian living conditions
would be addressed in new Sec. 205.241. By creating clear requirements
for mammalian livestock and avian livestock, animal health and
wellbeing can be enhanced and consumers can be assured of the integrity
of the USDA organic seal.
AMS is proposing to revise Sec. 205.239(a)(1) to require that food
is provided in a manner that maintains all animals in good body
condition while removing the requirement that all ruminant livestock
must be able to feed simultaneously. This would support animal welfare
by ensuring that feed rations are available to all animals so that they
maintain good body condition. One method of feeding livestock,
including ruminants, is the use of a self-feeder or a creep-feeder.
With creep-feeding and self-feeding, feed is accessible to all animals
at all times though they may not feed at the exact same time. Self-
feeding and creep-feeding provides organic ruminant producers with more
flexibility and options to manage their farm and livestock in farm-
specific methods.
AMS is proposing to revise Sec. 205.239(a)(3) to clarify that
livestock producers must keep animals clean during all stages of life
with the use of appropriate, clean, dry bedding. Ensuring animals are
clean is a disease prevention practice. Clean animals are less likely
to develop lesions, transmit diseases, or become cold due to matted
hair coats. The requirement for clean animals is relative to the
species. Swine would be allowed to exhibit natural behavior and wallow
in mud, and ruminants grazing on lush spring grass would be expected to
have some
[[Page 21969]]
manure on their hind quarters due to the natural behavior of grazing.
AMS is proposing to revise Sec. 205.239(a)(4)(i) to specify that
shelter must be designed to accommodate natural behaviors. Shelter must
have sufficient space for the animals to lie down, stand up, and fully
stretch their limbs without touching other animals or the sides of the
shelter. Shelter must be designed to allow livestock to express their
normal patterns of behavior.
AMS is proposing to add Sec. 205.239(a)(4)(iv) to require a
sheltered area for bedding and resting, which is sufficiently large and
comfortable to keep the animals clean, dry, and free of lesions. This
supports the proposed revision in Sec. 205.239(a)(3), which would
require producers to keep livestock clean. Not all shelters would need
to be designed to hold bedding. As an example, a shelter designed to
provide shade may be portable, and thus incompatible with holding
bedding.
AMS is proposing to add new requirements in Sec. 205.239(a)(7)
concerning the individual housing of dairy young stock. Section
205.239(a)(7)(i) would allow for the individual housing of animals
until weaning, as long as the animals had sufficient room to turn
around, lie down, stretch out while lying down, get up, rest, and groom
themselves. In addition, the individual housing of young stock would
need to be designed so that animals could see, smell, and hear other
animals. Furthermore, new Sec. 205.239(a)(7)(ii) would require that
dairy young stock are group-housed after weaning, and new Sec.
205.239(a)(7)(iii) would require that animals over six months of age
must have access to the outdoors at all times, including access to
pasture during the grazing season, except as allowed under Sec.
205.239 (b) and (c). Weaning is the time at which the young are taken
off of milk or milk replacers.
AMS is proposing to add three new provisions in Sec. 205.239(a)(8)
to require the group housing of swine, with several listed exceptions.
Section 205.239(a)(8)(i) would allow for sows to be individually housed
at farrowing and during the suckling period. Section 205.239(a)(8)(ii)
would allow for boars to be individually housed to reduce the
likelihood of fights and injuries. Section 205.239(a)(8)(iii) would
allow for swine to be individually housed after documented multiple
instances of aggression or to allow an individual pig to recover from a
documented illness.
AMS is proposing to add two new provisions in Sec. 205.239(a)(9)
and (10) concerning swine housing. Section 205.239(a)(9) would prohibit
the use of flat decks or piglet cages. This provision would prohibit
the stacking of piglets in flat decks in multiple layers. In addition,
Sec. 205.239(a)(10) would require that both indoor and outdoor areas
for swine would have some space which would permit rooting. Rooting is
a natural behavior which must be accommodated by organic swine
producers and could be done in soil, deep packed straw, or other
materials. Organic swine producers must also demonstrate how swine will
be allowed to root during temporary confinement events.
AMS is proposing to add a new provision in Sec. 205.239(a)(11) to
further define barns or other structures with stalls. If indoor shelter
is provided by a structure with stalls, then one stall must be provided
for each animal at any given time. This allows for all animals to rest
or lie down at the same time and provides a space for less dominant
animals to escape from aggressive animals. In no case may a cage be
considered a stall. One exception is provided for this provision. In
group-housed swine, more animals than feeding stalls may be allowed, as
long as all animals are able to consume sufficient quantities of feed
to maintain good body condition. AMS is aware of some enhanced swine
welfare systems, in which animals are robotically fed once they enter
an individual feeding stall. Once finished, the animal may leave the
stall and another animal enter the stall for its specific quantity of
feed. AMS did not intend to prohibit such systems, which enhance the
health and wellbeing of organic animals.
AMS is proposing to add a new requirement for outdoor access in
Sec. 205.239(a)(12). Organic livestock are required to have
unencumbered access to the outdoors at all times, unless temporary
confinement is justified under a specific reason described in the
regulations (e.g., nighttime confinement for protection from
predators). As part of the definition of the outdoors, livestock must
have access to the soil in a manner that maintains or improves the
natural resources of the farm, and does not degrade soil or water
quality. To make access to soil meaningful, at least 50 percent of all
the outdoor access area must be comprised of soil. This will benefit
mammals, as surfaces such as concrete may lead to more joint problems
and resulting lameness. Soil also provides an opportunity for swine to
root and engage in other natural behaviors.
AMS is proposing to revise Sec. 205.239(b)(7) to clarify the
exemption for temporary confinement for the purpose of breeding
livestock. Livestock may only be confined for the time that a natural
or artificial breeding procedure requires. A group of livestock may be
confined while the various individuals are bred, then the group would
be returned to living spaces that allow outdoor access. Livestock may
not be confined indoors to observe estrus. Section 205.239(c)(1)
describes the time when ruminants may be denied access to pasture, but
not access to the outdoors, before and after a breeding attempt.
AMS is proposing to revise Sec. 205.239(b)(8) to clarify the
temporary confinement exception for youth livestock projects. Many
youth livestock projects include the sale of market animals. Organic
animals that were under continuous organic management may be sold as
organic animals at youth fairs, even if the sales facility is not
certified organic. This revised provision includes an exemption to the
Sec. 205.239(b)(6) requirement that a livestock sales facility be
certified as an organic operation. As an example, if a youth exhibition
and sale is held at a livestock sales facility which is not certified
organic, the youth may sell the organic animal as an organic animal,
provided all other requirements for the organic management of livestock
are met. Otherwise, non-certified sales facilities, such as auction
barns or fair grounds, may not sell or represent livestock as organic.
AMS is proposing to provide this exception to encourage the next
generation of organic farmers.
AMS is proposing to revise Sec. 205.239(d) to reflect the similar
proposed changes in Sec. 205.239(a)(1). AMS would remove the phrase
requiring that all ruminants be able to feed simultaneously. This would
allow the use of self-feeding and creep-feeding so that the ruminants
would have access to feed continuously over a 24-hour period.
[[Page 21970]]
D. Avian Living Conditions
------------------------------------------------------------------------
------------------------------------------------------------------------
205.241....................... New.............. Avian Living
Conditions.
205.241(a).................... New.............. (a) The producer of
an organic poultry
operation must
establish and
maintain year-round
poultry living
conditions which
accommodate the
health and natural
behavior of poultry,
including: year-
round access to
outdoors; shade;
shelter; exercise
areas; fresh air;
direct sunlight;
clean water for
drinking; materials
for dust bathing;
and adequate outdoor
space to escape from
predators and
aggressive behaviors
suitable to the
species, its stage
of life, the climate
and environment.
Poultry may be
temporarily denied
access to the
outdoors in
accordance with Sec.
205.241(d).
205.241(b).................... New.............. Indoor space
requirements.
205.241(b)(1)................. New.............. (1) All birds must be
able to move freely,
and engage in
natural behaviors.
205.241(b)(2)................. New.............. (2) Ventilation must
be adequate to
prevent buildup of
ammonia. Ammonia
levels must not
exceed 25 ppm.
Producers must
monitor ammonia
levels on a monthly
basis. When ammonia
levels exceed 10
ppm, producers must
implement additional
practices to reduce
ammonia levels below
10 ppm.
205.241(b)(3)................. New.............. (3) For layers and
mature birds,
artificial light may
be used to prolong
the day length up to
16 hours. Artificial
light intensity must
be lowered gradually
to encourage hens to
move to perches or
settle for the
night. Natural light
must be sufficient
indoors on sunny
days so that an
inspector can read
and write when all
lights are turned
off.
205.241(b)(4)................. New.............. (4)The following
types of flooring
may be used in
shelter provided for
avian species:
205.241(b)(4)(i).............. New.............. (i) Mesh or slatted
flooring under
drinking areas to
provide drainage;
205.241(b)(4)(ii)............. New.............. (ii) Houses,
excluding pasture
housing, with
slatted/mesh floors
must have 30 percent
minimum of solid
floor area available
with sufficient
litter available for
dust baths so that
birds may freely
dust bathe without
crowding.
205.241(b)(4)(iii)............ New.............. (iii) Litter must be
provided and
maintained in a dry
condition.
205.241(b)(5)................. New.............. (5) Poultry houses
must have sufficient
exit areas,
appropriately
distributed around
the building, to
ensure that all
birds have ready
access to the
outdoors.
205.241(b)(6)................. New.............. (6) Flat roosts areas
must allow birds to
grip with their
feet. Six inches of
perch space must be
provided per bird.
Perch space may
include the
alighting rail in
front of the nest
boxes. All birds
must be able to
perch at the same
time except for
multi-tiered
facilities, in which
55 percent of birds
must be able to
perch at the same
time. Facilities for
species which do not
perch do not need to
be contain perch and
roost space.
205.241(b)(7)................. New.............. (7) For layers, no
more than 2.25
pounds of hen per
square foot of
indoor space is
allowed at any time,
except;
205.241(b)(7)(i).............. New.............. Pasture housing: no
more than 4.5 pounds
of hen per square
foot of indoor
space;
205.241(b)(7)(ii)............. New.............. Aviary housing: no
more than 4.5 pounds
of hen per square
foot of indoor
space;
205.241(b)(7)(iii)............ New.............. Slatted/mesh floor
housing: no more
than 3.75 pounds of
hen per square foot
of indoor space; and
205.241(b)(7)(iv)............. New.............. Floor litter housing:
no more than 3.0
pounds of hen per
square foot of
indoor space.
205.241(b)(8)................. New.............. (8) For pullets, no
more than 3.0 pounds
of pullet per square
foot of indoor space
may be allowed at
any time.
205.241(b)(9)................. New.............. (9) For turkeys,
broilers, and other
meat type species,
no more than 5.0
pounds of birds per
square foot of
indoor space is
allowed at any time.
205.241(b)(10)................ New.............. (10) All birds must
have access to
scratch areas in the
house.
205.241(b)(11)................ New.............. (11) Poultry housing
must be sufficiently
spacious to allow
all birds to move
freely, stretch
their wings, stand
normally, and engage
in natural
behaviors.
205.241(c).................... New.............. Outdoor Space
Requirements.
205.241(c)(1)................. New.............. (1) Outside access
and door spacing
must be designed to
promote and
encourage outside
access for all birds
on a daily basis.
Producers must
provide access to
the outdoors at an
early age to
encourage (train)
birds to go
outdoors. Outdoor
areas must have
suitable enrichment
to entice birds to
go outside. Birds
may be temporarily
denied access to the
outdoors in
accordance with Sec.
205.241(d).
205.241(c)(2)................. New.............. (2) Exit areas for
birds to get outside
must be designed so
that more than one
bird at a time can
get through the
opening and that all
birds within the
house can go through
the exit areas
within one hour.
205.241(c)(3)................. New.............. (3) For layers, no
more than 2.25
pounds of hen per
square foot of
outdoor space may be
allowed at any time.
205.241(c)(4)................. New.............. (4) For pullets, no
more than 3.0 pounds
of pullet per square
foot may be allowed
at any time.
205.241(c)(5)................. New.............. (5) For turkeys,
broilers, and other
meat type species,
no more than 5.0
pounds of bird per
square foot may be
allowed at any time.
205.241(c)(6)................. New.............. (6) Space that has a
solid roof overhead
and is attached to
the structure
providing indoor
space does not meet
the definition of
outdoor access and
must not be included
in the calculation
of outdoor space.
205.241(c)(7)................. New.............. (7) Shade may be
provided by
structures, trees or
other objects in the
environment.
205.241(c)(8)................. New.............. (8) At least 50
percent of outdoor
access space must be
soil.
205.241(d).................... New.............. (d) The producer of
an organic poultry
operation may
temporarily confine
birds. Each instance
of confinement must
be recorded.
Producers may
confine birds
because of:
205.241(d)(1)................. New.............. (1) Inclement
weather, including,
when air
temperatures are
under 40 degrees F
or above 90 degrees
F;
205.241(d)(2)................. New.............. (2) The animal's
stage of life,
including the first
4 weeks of life for
broilers and other
meat type birds and
the first 16 weeks
of life for pullets;
and
205.241(d)(3)................. New.............. (3) Conditions under
which the health,
safety, or well-
being of the animal
could be
jeopardized;
however, the
potential for
disease outbreak is
not sufficient
cause. A documented
occurrence of a
disease in the
region or relevant
migratory pathway
must be present in
order to confine
birds.
205.241(d)(4)................. New.............. (4) Risk to soil or
water quality.
[[Page 21971]]
205.241(d)(5)................. New.............. (5) Preventive
healthcare
procedures or for
the treatment of
illness or injury
(neither various
life stages nor egg
laying is an illness
or injury).
205.241(d)(6)................. New.............. (6) Sorting or
shipping birds and
poultry sales:
Provided, the birds
are maintained under
continuous organic
management,
throughout the
extent of their
allowed confinement.
205.241(d)(7)................. New.............. (7) Nest Box
training: Except,
that, birds shall
not be confined any
longer than two
weeks to teach the
proper behavior.
205.241(d)(8)................. New.............. (8) 4-H, National FFA
Organization, and
other youth
projects, for no
more than one week
prior to a fair or
other demonstration,
through the event,
and up to 24 hours
after the birds have
arrived home at the
conclusion of the
event. These birds
must have been
maintained under
continuous organic
management,
including organic
feed, during the
extent of their
allowed confinement
for the event.
Notwithstanding the
requirements in
paragraph (d)(6) of
this section,
facilities where 4-
H, National FFA
Organization, and
other youth events
are held are not
required to be
certified organic
for the
participating birds
to be sold as
organic, provided
all other organic
management practices
are.
205.241(e).................... New.............. (e)The producer of an
organic poultry
operation must
manage manure in a
manner that does not
contribute to
contamination of
crops, soil, or
water by plant
nutrients, heavy
metals, or
pathogenic organisms
and optimizes
recycling of
nutrients and must
manage outdoor
access in a manner
that does not put
soil or water
quality at risk.
------------------------------------------------------------------------
In conjunction with the proposed amendments discussed above, AMS is
proposing to add a new Sec. 205.241, entitled ``Avian living
conditions.'' AMS chose to divide in two the existing living condition
section, one for mammalian and one for avian, to provide for more
clarity and specificity for each. The proposed avian living conditions
section would include existing provisions from the current living
conditions requirements as well as requirements recommended by the
NOSB. AMS made a similar decision when the pasture requirements were
added specifically for ruminants and not simply appended onto the
livestock feed section. The requirements in this new section would
apply to all poultry species, including but not limited to, chickens,
turkeys, geese, quail, pheasant, and any other species which are raised
for organic eggs, organic meat, or other organic agricultural product.
AMS is proposing to add Sec. 205.241(a) to require organic poultry
operations to establish and maintain living conditions that accommodate
the health and natural behaviors of the birds.
In addition, a new Sec. 205.241(a) would require organic poultry
producers to provide their birds with year-round access to the
outdoors, soil, shade, shelter, exercise areas, fresh air, direct
sunlight, clean water for drinking, materials for dust bathing, and
adequate space to escape both predators and aggressive behaviors, in a
manner that is suitable to the species, the stage of life, and the
environment. These general principles will be further clarified in
Sec. 205.241(b) and (c). New Sec. 205.241(d) describes exceptions to
the requirement for outdoor access.
AMS is proposing to add a new Sec. 205.241(b) to specify avian
indoor space requirements. New Sec. 205.241(b)(1) would require that
indoor space allow all birds to move freely and engage in natural
behaviors. This would prohibit the use of cages or environments which
limit free movement within the indoor space. In addition, the indoor
space must allow birds to engage in natural behaviors such as dust
bathing or escape from aggressive birds.
AMS is proposing to add a new Sec. 205.241(b)(2) to require
ventilation suitable to prevent ammonia in excessive concentrations in
the indoor space. Ammonia is a natural breakdown product of manure from
livestock which can be harmful for birds to inhale. Producers must
describe in the Organic System Plan methods and procedures which will
maintain ammonia under 10 ppm. Ammonia levels would need to be
monitored monthly to verify that ammonia concentrations remain under 10
ppm and never exceed 25 ppm. Producers would need to implement
additional ammonia mitigation procedures when ammonia levels exceed 10
ppm to ensure that ammonia levels never exceed 25 ppm in the indoor
space. Ammonia in high concentrations is harmful for birds to inhale,
and, in many cases, is a sign that the litter is too damp, which also
may cause lameness in the birds.
AMS is proposing to add a new Sec. 205.241(b)(3) to clarify the
lighting requirements for organic poultry. Organic producers may use
artificial light to prolong the daylight up to 16 hours. No artificial
light could be used to prolong the day if natural darkness was 8 hours
or less. Artificial light must be lowered gradually to encourage hens
to move to perches or otherwise settle for the night. Producers must
design indoor spaces with access to natural light so that, on sunny
days, inspectors can read and write when the lights are turned off.
This requirement sets forth a performance standard that facilitates
inspection, provides for enough lighting to accommodate natural avian
behavior, and allows flexibility to operations in determining how to
design their facilities for compliance.
AMS is proposing to add a new Sec. 205.241(b)(4) to describe the
types of flooring that may be used in all types of indoor poultry
houses provided for avian species. Mesh flooring would be allowed under
drinking areas to provide drainage in new Sec. 205.241(b)(4)(i). AMS
is proposing to add new Sec. 205.241(b)(4)(ii) to allow for slatted
floors as long as 30 percent of the flooring is solid with sufficient
litter so that birds may dust bathe freely without crowding. Pasture
housing is being exempted from this requirement, as birds on pasture
will have large areas of outdoor space for dust bathing. AMS is further
proposing in new Sec. 205.241(b)(4)(iii) that the litter must be
provided in all types of indoor housing and maintained in a dry manner.
Wet litter can lead to a variety of problems for birds, including
lameness and excess ammonia concentration. Litter may be topped off
when needed to maintain sufficient dryness.
AMS is proposing to add a new Sec. 205.241(b)(5) to describe the
required openings in shelters so that the birds can easily access both
the indoor and outdoor areas. Doors or openings must be distributed
around the building. In addition, the openings must be large enough to
allow the passage of more than one bird at a time. Wide doors spread
around the building provide meaningful outdoor access to the birds.
AMS is proposing to add a new Sec. 205.241(b)(6) to require a flat
roost area which birds may grip with their feet with a minimum of 6
inches of perch space per bird. The perch space may include the
alighting rail in front of nest boxes. In single story buildings, all
birds must be able to perch at the same time. In multi-tiered
facilities, 55 percent of the birds must be able to perch at the same
time, and the 6-inch per hen requirement still applies.
[[Page 21972]]
Perches may be either set on the ground/platform or elevated.
AMS is proposing to add new Sec. 205.241(b)(7), (b)(7)(i),
(b)(7)(ii), (b)(7)(iii), (b)(7)(iv), (b)(8), and (b)(9) to list the
required minimum avian indoor space requirements. Indoor space
requirements apply with various minimums to all methods of production,
including ones in which indoor space is provided with permanent
buildings or mobile pasture units. Indoor space is further defined in
Sec. 205.2, including pasture housing, aviary housing, floor little
housing and slatted/mesh floor housing. In 2011, the NOSB recommended a
minimum of 2.0 square feet per hen based on the outside perimeter of
the indoor housing structure and in which all types of indoor housing
would have the same space requirement. In preparation for this proposed
rule, AMS examined a number of other animal welfare certification
programs developed by scientific committees.\12\ These animal welfare
certification standards varied from a minimum of 1.0 square feet per
bird in aviaries and pasture systems to 1.8 square feet per hen with no
more than 500 hens per barn. In addition, AMS obtained comments from
various producer, certifying agent, and trade groups. Producers in
colder climates stated that maintaining a warm indoor temperature
during the winter is much more difficult with a 2.0 square foot minimum
requirement for indoor space. Producers with aviaries cited the
scientific committees' findings that aviaries provided enhanced welfare
due to birds being able to utilize vertical space to engage in natural
behaviors. Producers with slatted/mesh floors cited the reduced welfare
concerns from lameness by keeping the litter drier. To better align
with current scientific consensus, AMS is determining the space density
requirements by housing type. AMS is proposing that pasture housing
have a maximum of 4.5 pounds per square foot; aviary housing have a
maximum of 4.5 pounds per square foot; slatted/mesh floor have a
maximum of 3.75 pounds per square foot; and floor litter housing have a
maximum of 3.0 pounds per square foot. As explained below, AMS is
proposing to use pounds of laying hen per square foot to measure indoor
space per laying hen, in order to have consistent application of this
requirement for different avian species/varieties.
---------------------------------------------------------------------------
\12\ AMS reviewed the following animal welfare certification
programs: Certified Humane (Humane Farm Animal Care); Animal Welfare
Approved; Animal American Humane Certified (American Humane
Association); 5-Step Animal Welfare Rating Program (Global Animal
Partnership); and United Egg Producers Certified.
---------------------------------------------------------------------------
AMS recognizes that a wide variety of species and breeds within
species may be used to produce eggs for human consumption. Using a
minimum space per animal would be problematic if a producer of quail
eggs or emu eggs were to seek organic certification. The square feet of
space per hen metric would not be reasonable for these and other
species. Therefore, AMS is proposing to convert the minimum square feet
of space per hen to the construction of maximum pounds of laying hen
per square foot of space provided, similar to format of the NOSB-
recommended minimum space for pullets and meat-type birds. To make this
conversion, AMS determined that a majority of organic eggs are brown
eggs. AMS determined that about 60 percent of all brown eggs are
produced by the ISA Brown strain of chicken. Based on this, AMS made
the assumption a majority of the organic brown eggs were produced by
the ISA Brown strain of chicken. An average mature weight for an ISA
Brown hen is 4.5 pounds. AMS made the following calculation to convert
minimum square feet to maximum pounds per square foot:
(1 hen/2.0 square feet) * (4.5 pounds/1 hen) = 2.25 pounds per square
foot
Table 1 lists the square feet per laying hen for various housing
types and the resulting calculation of pounds of hen per square foot
allowed.
Table 1--Indoor Stocking Density--Unit Conversion
------------------------------------------------------------------------
Pounds of hen
Indoor housing type Square feet per square
per laying hen foot
------------------------------------------------------------------------
Pasture................................. 1.0 4.5
Aviary.................................. 1.0 4.5
Floor Litter............................ 1.5 3.0
Pit/mesh litter......................... 1.2 3.75
All others.............................. 2.0 2.25
------------------------------------------------------------------------
AMS is requesting comments regarding the above assumptions.
Specifically, AMS requests comments on:
Are most organic eggs brown?
Are most organic laying hens from the ISA Brown strain?
Is the mature weight of an ISA Brown hen 4.5 pounds under
organic condition?
What other avian species are used for organic egg
production?
The indoor space requirement based upon maximum pounds of laying
hen per square foot of space will allow producers to vary the number of
birds in a given house depending upon the size of the bird or breed of
the bird. For example, Rhode Island Red birds are heavier than white
leghorns or ISA Browns, and thus could not be stocked as densely
(number of birds per unit area) in the same area.
AMS is proposing to use the NOSB recommendation of a maximum 3
pounds of pullet per square foot of indoor space in new Sec.
205.241(b)(8) and a maximum of 5 pounds of meat-type species (e.g.,
broilers, turkeys, geese) per square foot of indoor space in Sec.
205.241(b)(9). These are minimum standards, and organic producers may
choose to provide more indoor space than required.
AMS is proposing to add new Sec. 205.241(b)(10) and (11) to
specify indoor requirements to meet certain natural behaviors. Indoor
space, whether stationary or mobile, must have scratch areas which
allow all birds access. In addition, the indoor housing must be
sufficiently spacious to allow all birds to move freely, stand
normally, stretch their wings and engage in natural behaviors.
AMS is proposing to add a new Sec. 205.241(c) to specify the
outdoor space requirements for avian species. Section 205.241(c)(1)
would require that the outdoor space be designed to promote and
encourage outdoor access for all birds. Producers would be required to
train birds to go outdoors from an early age. Outdoor space
requirements are not meaningful unless the birds go outside. Therefore,
producers must actively and repeatedly train their birds to access the
[[Page 21973]]
outdoors and provide sufficient enrichment so that the birds stay
outdoors. Organic producers may temporarily deny birds access to the
outdoors space, in accordance with Sec. 205.241(d).
AMS is proposing in Sec. 205.241(c)(1), in line with the NOSB
recommendation, that outdoor areas must have suitable enrichment to
entice the birds to go outside. One example of suitable enrichment
would be a minimum 50 percent vegetative cover (living vegetation or
harvested vegetation scattered in the area). Minimum vegetative cover
would provide opportunities for poultry to engage in natural foraging
behaviors. In addition, the vegetative cover would help to reduce soil
erosion and nutrient run off. Other means of providing enrichment
include, but are not limited to: Access to water for water birds; bales
of straw or hay; raised platforms; cover for protection from aerial
predators; shaded areas and trees; and loose substrate for dust
bathing.
AMS is proposing to add new Sec. 205.241(c)(3) through (5) to
specify minimum outdoor space requirements. Organic layer producers
must not exceed 2.25 pounds of hen per square foot of outdoor space
provided. Organic pullet producers must not exceed 3 pounds of pullet
per square foot of outdoor space provided. Organic broiler, turkey and
other meat-type producers must not exceed 5 pounds of bird per square
foot of outdoors space provided. AMS chose to convert the NOSB
recommended space for layers from a minimum space per hen to a maximum
weight of bird per square foot to provide greater flexibility in the
regulations for organic producers that produce organic eggs from quail,
emu, or other species using a similar calculation as shown in the
indoor space requirement section earlier. These space requirements are
the minimum allowed.
AMS is proposing to add new Sec. 205.241(c)(6) and (7) to specify
how outdoor space must be calculated. Outdoor space may not include any
area which has a solid roof that is attached to the structure which
provides indoor space. Areas under eaves and overhangs from the
stationary barn or mobile unit may not be included as part of the
outdoor space. However, the outdoor space must provide shade for the
birds. For example, a structure with a solid roof that is not attached
to a structure which provides indoor space may be included as part of
the outdoor space. Shade may also be provided by trees or other objects
in the environment.
AMS is proposing to add a new Sec. 205.241(c)(8) to require that
the outdoor space have a minimum of 50 percent soil. The soil would
allow for the birds to engage in natural foraging and dust bathing
behaviors. In addition, the soil, if covered in vegetation, would
provide nutrition and enrichment to help draw the birds outdoors.
AMS is proposing to add a new Sec. 205.241(d) to describe the
conditions under which organic avian livestock producers may
temporarily confine birds indoors. Each period of confinement must be
separately recorded with the reasons for the confinement, the duration
of the confinement, and the birds or flocks which were confined. AMS is
proposing to add a new Sec. 205.241(d)(1) to provide an allowance for
temporary confinement in response to inclement weather. Birds may be
confined due to storms, blizzards, and other hazardous conditions. In
addition, this provision allows for birds to be confined indoors when
the temperature does not exceed 40 [deg]F. It also allows birds to be
denied access or brought inside when the daytime temperature exceeds 90
[deg]F. Producers must provide documentation for confinement due to
inclement weather, such as an actual thermometer reading on the farm or
a local weather forecast showing the daytime high would either not
exceed 40 [deg]F or that the temperature exceeded 90 [deg]F. Producers
would have to provide outdoor access during those parts of the day when
temperatures were between 40-90 [deg]F.
AMS is proposing to add a new Sec. 205.241(d)(2) to provide an
allowance for temporary confinement indoors due to stage of life.
Broilers and other meat-type birds may be confined up through 4 weeks
of age. After the 4th week of life, broilers and other meat-type birds
must be provided with outdoor access. Pullets may be temporarily
confined indoors through 16 weeks of age. After the 16th week of life,
pullets must be provided with outdoor access. The NOSB recommended that
16 weeks of age be used before required outdoor access, so that pullets
could complete their vaccination program before exposure to pathogens
outdoors.
AMS is proposing to add a new Sec. 205.241(d)(3) to provide an
allowance for temporary indoor confinement under conditions in which
the health, safety, or well-being of the birds could be jeopardized.
Permanently restricting birds to the indoors is not allowed. In
addition, confinement due to potential outbreaks is not allowed. A
documented case of the disease in the region or migratory pathway must
be present before a temporary confinement may begin.
AMS is proposing to add a new Sec. 205.241(d)(4) to provide an
allowance for indoor confinement to prevent risk to soil or water
quality. This allowance is for temporary confinement after major rain
events in which the soil may be excessively soft so that the birds
could create a soil or water run off risk.
AMS is proposing to add a new Sec. 205.241(d)(5) to provide an
allowance for indoor confinement for preventive health care procedures
or for the treatment of illness or injury. Neither life stages nor egg
laying are considered an illness for confinement purposes. This
provision would allow for producers to briefly confine a flock to
administer vaccinations or to confine an individual animal that
required medical treatment. This provision would also allow for an
injured or sick animal to be confined indoors until the animal regained
health.
AMS is proposing to add a new Sec. 205.241(d)(6) to provide an
allowance for indoor confinement for sorting, shipping, and poultry
sales. However, the birds must be managed organically during the entire
time of confinement. Confinement must be no longer than necessary to
sort the birds or to catch the birds, place them in shipping
containers, and conduct the sale.
AMS is proposing to add a new Sec. 205.241(d)(7) to provide an
allowance for indoor confinement to train pullets to use the nest box.
However, this training period may only be a maximum of 2 weeks and must
not be any longer than necessary to teach the birds the proper
behavior.
AMS is proposing to add a new Sec. 205.241(d)(8) to provide an
allowance for indoor confinement for youth exhibitions, such as with 4-
H or the National FFA Organization. This new provision also includes an
exemption to the Sec. 205.239(b)(6) requirement that a livestock sales
facility being certified as an organic operation. As an example, if a
youth exhibition and sale is held at a livestock sales facility which
is not certified organic, a youth may sell birds there as organic,
provided all other requirements for the organic management are met.
Otherwise, non-certified sales facilities, such as auction barns, may
not sell or represent livestock as organic. AMS is adding this
exemption to encourage the next generation of organic producers.
AMS is proposing to add a new Sec. 205.241(e) to require organic
poultry producers to manage manure in a manner that does not contribute
to contamination of crops, soil, or water quality by plant nutrients,
heavy metals, or pathogenic organisms. Organic poultry producers must
manage the
[[Page 21974]]
outdoor space in a manner that does not put soil or water quality at
risk. In addition, organic poultry producers must comply with all other
governmental agency requirements for environmental quality.
E. Transport and Slaughter
----------------------------------------------------------------------------------------------------------------
----------------------------------------------------------------------------------------------------------------
205.242........................... .......................... New.................. Transportation and
Slaughter.
205.242(a)........................ .......................... New.................. (a) Transportation.
205.242(a)(1)..................... .......................... New.................. (1) Certified organic
livestock must be
clearly identified as
organic and transported
in pens within the
livestock trailer
clearly labeled for
organic use and be
contained in those pens
for the duration of the
trip.
205.242(a)(2)..................... .......................... New.................. (2) All livestock must be
fit for transport to
auction or slaughter
facilities.
205.242(a)(2)(i).................. .......................... New.................. (i) Calves must have a
dry navel cord and be
able to stand and walk
without human
assistance.
205.242(a)(2)(i).................. .......................... New.................. (ii) Sick, injured, weak,
disabled, blind, and
lame animals must not be
transported for sale or
slaughter. Such animals
may be medically treated
or euthanized.
205.242(a)(3)..................... .......................... New.................. (3) Adequate and season-
appropriate ventilation
is required for all
livestock trailers,
shipping containers and
any other mode of
transportation used to
protect animals against
cold and heat stresses.
205.242(a)(4)..................... .......................... New.................. (4) Bedding must be
provided on trailer
floors and in holding
pens as needed to keep
livestock clean, dry,
and comfortable during
transportation and prior
to slaughter. Poultry
crates are exempt from
the bedding requirement.
When roughages are used
for bedding they must
have been organically
produced and handled by
certified organic
operations.
205.242(a)(5)..................... .......................... New.................. (5) Arrangements for
water and organic feed
must be made if
transport time,
including all time on
the mode of
transportation, exceeds
twelve hours.
205.242(a)(5)(i).................. .......................... New.................. (i) The producer or
handler of an organic
livestock operation must
transport livestock in
compliance with the
Federal Twenty-Eight
Hour Law (49 U.S.C.
80502) and the
regulations at 9 CFR
89.1-89.5.
205.242(a)(5)(ii)................. .......................... New.................. The producer or handler
of an organic livestock
operation must provide
all non-compliant
records and subsequent
corrective action
related to livestock
transport during the
annual inspection.
205.242(a)(6)..................... .......................... New.................. (6) Organic producers
must have in place
emergency plans adequate
to address possible
animal welfare problems
that might occur during
transport.
205.242(b)........................ .......................... New.................. Mammalian Slaughter.
205.242(b)(1)..................... .......................... New.................. Producers and handlers
who slaughter organic
livestock must be in
compliance with the
Federal Meat Inspection
Act (21 U.S.C. 603(b)
and 21 U.S.C. 610(b) and
the regulations at 9 CFR
part 313 regarding
humane handling and
slaughter of livestock.
205.242(b)(2)..................... .......................... New.................. Producers and handlers
who slaughter organic
exotic animals must be
in compliance with the
Agricultural Marketing
Act of 1946 (7 U.S.C.
1621, et seq.) and the
regulations at 9 CFR
parts 313 and 352
regarding the humane
handling and slaughter
of exotic animals.
[[Page 21975]]
205.242(b)(3)..................... .......................... New.................. Producers and handlers
who slaughter organic
livestock or exotic
animals must provide all
non-compliant records
related to humane
handling and slaughter
issued by the
controlling national,
federal, or state
authority and all
records of subsequent
corrective actions
during the annual
organic inspection.
205.242(c)........................ .......................... New.................. (c) Avian Slaughter.
205.242(c)(1)..................... .......................... New.................. (1) Producers and
handlers who slaughter
organic poultry must be
in compliance with the
Poultry Products
Inspection Act
requirements (21 U.S.C.
453(g)(5) and the
regulations at 9 CFR
381.1(b)(v), 381.90, and
381.65(b)).
205.242(c)(2)..................... .......................... New.................. (2) Producers and
handlers who slaughter
organic poultry must
provide all non-
compliant records
related to the use of
good manufacturing
practices in connection
with slaughter issued by
the controlling
national, federal, or
state authority and all
records of subsequent
corrective actions
during the annual
organic inspection.
205.242(c)(3)..................... .......................... New.................. (3) Producers and
handlers who slaughter
organic poultry, but are
exempt from or not
covered by the
requirements of the
Poultry Products
Inspection Act , must
ensure that:
205.242(c)(3)(i).................. .......................... New.................. (i) No lame birds may be
shackled, hung, or
carried by their legs;
205.242(c)(3)(ii)................. .......................... New.................. (2) All birds shackled on
a chain or automated
system must be stunned
prior to exsanguination;
and
205.242(c)(3)(iii)................ .......................... New.................. (3) All birds must be
irreversibly insensible
prior to being placed in
the scalding tank.
----------------------------------------------------------------------------------------------------------------
Under the OFPA at 7 U.S.C. 6509(d)(2), ``Health Care,'' the NOSB
may make recommendations ``for the care of livestock to ensure that
such livestock is organically produced.'' As stated above, in December
2011, the NOSB passed a recommendation to add standards for
transportation of livestock to slaughter facilities and the slaughter
process. AMS is proposing regulations, in a new Sec. 205.242 for
Transportation and Slaughter, in response to this recommendation. This
proposed section would require producers and handlers of livestock to
maintain organic integrity and provide for animal welfare during
transportation. Further, the proposed section would clarify the
requirements for slaughter of livestock by certified operations. These
requirements would include performance standards regarding the
transportation of livestock, including a requirement that operations
comply with the Twenty-Eight Hour Law and its implementing regulations
as a condition of organic certification. These requirements also would
establish as a condition of organic certification compliance with the
Federal Meat Inspection Act (FMIA) and Poultry Products Inspection Act
requirements concerning slaughter, as well as compliance with USDA Food
Safety and Inspection Service (FSIS) regulatory requirements regarding
the slaughter of exotic animals under voluntary inspection.
Transportation
AMS is proposing to publish the transportation requirements in new
Sec. 205.242(a). Section 205.242(a)(1) would require that all organic
livestock be transported in a trailer/truck or in pens within the
trailer/truck that are clearly identified for organic use, and that the
animals remain within those pens for the duration of the trip.
AMS is proposing a new Sec. 205.242(a)(2) to set minimum fitness
requirements for livestock to be transported. Section 205.242(a)(2)(i)
would require that calves have a dry navel cord, and be able to stand
and walk without assistance, if they are to be transported. This
provision would apply only to transport to auction facilities or
slaughter facilities. Beef cattle and dairy cattle producers may
transport calves on the farm before the navel is dried and the calves
can walk. Section 205.242(a)(2)(ii) would prohibit transport of sick,
injured, weak, disabled, blind, and lame animals to auction or
slaughter facilities. These animals may either be given medical
treatments and cared for until they improve or euthanized.
AMS is proposing new Sec. 205.242(a)(3) and (4) to set minimum
standards for the trailer, truck, or shipping container used for
transporting organic livestock. The mode of transportation would be
required to provide seasonal-appropriate ventilation to protect against
cold or heat stress. This provision would require that air flow be
adjusted depending upon the season and temperature. In addition,
bedding would be required to be provided on trailer floors as needed to
keep livestock clean, dry and comfortable. If roughage is used as
bedding, the bedding would need to be organically produced and handled.
Use of non-organic bedding would cause loss of organic status for all
animals transported. Poultry crates would be exempted from the bedding
requirement.
Section 205.242(a)(5) would require that all livestock must be
provided with organic feed and clean water if transport time exceeds 12
hours. The 12 hour time period includes all times in which the animals
are on the trailer/truck/shipping container but not moving. In
[[Page 21976]]
cases such as poultry slaughter where requirements do not allow feed 24
hours before slaughter, producers and slaughter facilities would need
to ensure that transport time did not exceed 12 hours, as the birds
would need to be fed at that time.
AMS is proposing new Sec. 205.242(a)(5)(i) and (ii) to clarify the
authority of the NOP, certifying agents and State organic programs to
initiate compliance action if certified operations are found to have
violated the Twenty-Eight Hour Law (49 U.S.C. 80502) and its
implementing regulations at 9 CFR 89.1 through 89.5. In general, this
law provides that animals may not be confined for more than 28
consecutive hours without unloading for feeding, watering and rest. The
USDA Animal and Plant Health Inspection Service (APHIS) enforces this
law and has approved in-transit feed, water and rest stations.
Violators of the Twenty-Eight Hour Law are subject to civil penalties.
In the event that a certified operation receives a non-compliance or
civil penalty under the Twenty-Eight Hour Law, the certified operation
must present those records to the certifier during the annual organic
inspection.
AMS is proposing a new Sec. 205.242(a)(6) to require operations
which transport livestock to sales or slaughter to have in place
emergency plans that adequately address problems reasonably possible
during transport. Such emergency plans could include how to provide
feed and water if transport time exceeded 12 hours, if livestock
escaped during transport, or how to euthanize an animal hurt during
transport. Shipping and/or receiving operations would need to include
these plans in their OSPs.
Slaughter and the Handling of Livestock in Connection With Slaughter
AMS is proposing a new Sec. 205.242(b), regarding mammalian
slaughter, to clarify the authority of the NOP, certifying agents and
State organic programs to initiate compliance action if certified
operations are found to have violated FSIS regulations governing the
humane handling of mammalian livestock in connection with slaughter
(note that AMS is separating mammalian from avian slaughter
requirements due to the differences in how mammalian and avian
livestock are handled and slaughtered). This new section, entitled
``Mammalian Slaughter,'' would govern the mammals defined as
``livestock'' or ``exotic animals'' under the FSIS regulations. Under
the FSIS regulations, ``livestock'' are cattle, sheep, swine, goat,
horse, mule, or other equine. ``Exotic animals'' are antelope, bison,
buffalo, cattalo, deer, elk, reindeer and water buffalo. These
regulations govern the handling and slaughter of the majority of
mammalian animals used for food in the United States and would apply to
all certified organic operations that slaughter these animals.
AMS is proposing to add a new Sec. 205.242(b)(1) to require
certified organic slaughter facilities to be in full compliance with
the Humane Methods of Slaughter Act (HMSA) of 1978 (7 U.S.C. 1901 et
seq.) and its implementing FSIS regulations. The HMSA requires that
humane methods be used for handling and slaughtering livestock and
defines humane methods of slaughter. In the HMSA, Congress found ``that
the use of humane methods in the slaughter of livestock prevents
needless suffering; results in safer and better working conditions for
persons engaged in the slaughtering industry; brings about improvement
of products and economies in slaughtering operations; and produces
other benefits for producers, processors, and consumers which tend to
expedite an orderly flow of livestock and livestock products in
interstate and foreign commerce.'' The HMSA is referenced in the FMIA
at 21 U.S.C. 603 and is implemented by FSIS humane handling and
slaughter regulations found at 9 CFR part 313. The FMIA provides that,
for the purposes of preventing inhumane slaughter of livestock, the
Secretary of Agriculture will assign inspectors to examine and inspect
the methods by which livestock are slaughtered and handled in
connection with slaughter in slaughtering establishments subject to
inspection (21 U.S.C. 603(b)).
All establishments that slaughter livestock, which include any
certified organic operations that slaughter livestock, must meet the
humane handling and slaughter requirements the entire time they hold
livestock in connection with slaughter. FSIS provides for continuous
inspection in livestock slaughter establishments, and inspection
program personnel verify compliance with the humane handling
regulations during each shift that animals are slaughtered, or when
animals are on site, even during a processing only shift. The
regulations at 9 CFR part 313 govern the maintenance of pens, driveways
and ramps; the handling of livestock, focusing on their movement from
pens to slaughter; and the use of different stunning and slaughter
methods. Notably, FSIS inspection program personnel verify compliance
with the regulations at 9 CFR part 313 through the monitoring of many
of the same parameters proposed by the NOSB in 2011, e.g., prod use,
slips and fall, stunning effectiveness and incidents of egregious
inhumane handling.\13\ FSIS has a range of enforcement actions
available regarding violations of the humane slaughter requirements for
livestock, including noncompliance records, regulatory control actions
and suspensions of inspection.
---------------------------------------------------------------------------
\13\ FSIS Directive 6900.2, Revision 2, Humane Handling and the
Slaughter of Livestock, August 15, 2011.
---------------------------------------------------------------------------
Further, FSIS encourages livestock slaughter establishments to use
a systematic approach to humane handling and slaughter to best ensure
that they meet the requirements of the HMSA, FMIA, and implementing
regulations.\14\ With a systematic approach, establishments focus on
treating livestock in such a manner as to minimize excitement,
discomfort, and accidental injury the entire time they hold livestock
in connection with slaughter. Establishments may develop written animal
handling plans and share them with FSIS inspection program personnel.
---------------------------------------------------------------------------
\14\ Humane Handling and Slaughter Requirements and the Merits
of a Systematic Approach To Meet Such Requirements, FSIS, 69 FR
54625, September 9, 2004.
---------------------------------------------------------------------------
AMS is proposing to add a new Sec. 205.242(b)(2) for those
certified organic facilities which slaughter exotic animals and
voluntarily request FSIS inspection. FSIS also provides, upon request,
voluntary inspection of certain exotic animal species on a fee-for-
service basis, under the authority of the Agricultural Marketing Act of
1946. FSIS regulates the humane handling of the slaughter of exotic
animals under the regulations at 9 CFR part 352.10, which require that
exotic animals be slaughtered and handled in connection with slaughter
in accordance with the requirements for livestock at 9 CFR part 313.
Violation of these regulations can result in a denial of service by
FSIS.
AMS is proposing to add Sec. 205.242(b)(3) to require that all
certified organic slaughter facilities provide any FSIS noncompliance
records or corrective action records relating to humane handling and
slaughter during the annual organic inspection. Not all violations of
FSIS regulations result in a suspension of FSIS inspection services. In
some cases, FSIS will issue a noncompliance record and the slaughter
facility must perform corrective actions to bring the slaughter
facility back into compliance. These records must be presented during
the annual organic inspection to verify that the slaughter facility is
in full
[[Page 21977]]
compliance and has taken all corrective actions. In addition, AMS
recognizes that in the United States some slaughter facilities are
regulated by the State for intra-state meat sales. In foreign
countries, foreign governments may be the appropriate regulatory
authority for humane slaughter inspections. In all cases, the relevant
humane slaughter noncompliance records and corrective action records
must be provided during the annual inspection.
Slaughter and the Handling of Poultry in Connection With Slaughter
AMS is proposing a new Sec. 205.242(c), regarding avian slaughter
facilities. Section 202.242(c)(1) would clarify the authority of the
NOP, certifying agents and State organic programs to initiate
compliance action if certified operations are found to have violated
the Poultry Products Inspection Act (PPIA) requirements regarding
poultry slaughter, as well as the FSIS regulations regarding the
slaughter of poultry and the use of good commercial practices in the
slaughter of poultry. Under the PPIA and the FSIS regulations, poultry
are defined as chickens, turkeys, ducks, geese, guineas, ratites, and
squabs. These species constitute the majority of avian species
slaughtered for human food in the United States. However, the organic
standards for avian slaughter will apply to all species biologically
considered avian or birds. The NOSB did not directly address avian
slaughter requirements. However, AMS is proposing avian slaughter
requirements for consistency with the proposed mammalian slaughter
requirements and to better ensure the welfare of all animals
slaughtered by certified operations.
While the HMSA does not apply to poultry, under the PPIA at 21
U.S.C. 453(g)(5), a poultry product is considered adulterated if it is
in whole, or in part, the product of any poultry which has died
otherwise than by slaughter. FSIS regulations, in turn, require that
poultry be slaughtered in accordance with good commercial practices, in
a manner that will result in thorough bleeding of the poultry carcass
and will ensure that breathing has stopped before scalding (9 CFR
381.65 (b)).
In a 2005 Federal Register Notice, FSIS reminded all poultry
slaughter establishments that live poultry:
. . . must be handled in a manner that is consistent with good
commercial practices, which means they should be treated humanely.
Although there is no specific federal humane handling and slaughter
statute for poultry, under the PPIA, poultry products are more
likely to be adulterated if, among other circumstances, they are
produced from birds that have not been treated humanely, because
such birds are more likely to be bruised or to die other than by
slaughter.\15\
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\15\ Treatment of Live Poultry Before Slaughter, FSIS, 70 FR
56624, September 28, 2005.
Also in this Notice, FSIS suggested that poultry slaughter
establishments consider a systematic approach to handling poultry in
connection with slaughter. FSIS defined a systematic approach as one in
which establishments focus on treating poultry in such a manner as to
minimize excitement, discomfort, and accidental injury the entire time
that live poultry is held in connection with slaughter. Although the
adoption of such an approach is voluntary, it would likely better
ensure that poultry carcasses are unadulterated.
FSIS inspection program personnel verify that poultry slaughter is
conducted in accordance with good commercial practices in the pre-scald
area of slaughter establishments, where they observe whether
establishment employees are mistreating birds or handling them in a way
that will cause death or injury or prevent thorough bleeding or result
in excessive bruising. Examples of noncompliant mistreatment could
include breaking the legs of birds to hold the birds in the shackle,
birds suffering or dying from heat exhaustion and breathing birds
entering the scalder.\16\ Also, in 2015, FSIS issued specific
instructions to inspection program personnel for recording
noncompliance with the requirement for the use of good commercial
practices in poultry slaughter.\17\
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\16\ FSIS Directive 6100.3, Revision 1, Ante-Mortem and Post-
Mortem Poultry Inspection, April 30, 2009.
\17\ FSIS Notice 07-15, Instructions for Writing Poultry Good
Commercial Practices Noncompliance Records and Memorandum of
Interview Letters for Poultry Mistreatment, January 21, 2015.
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AMS is proposing a new Sec. 205.242(c)(2) to require that all
certified organic slaughter facilities provide, during the annual
organic inspection, any FSIS noncompliance records and corrective
action records related to the use of good manufacturing practices in
the handling and slaughter of poultry. Not all violations of FSIS
regulations result in a suspension of inspection services. In some
cases, FSIS will issue a noncompliance record and the slaughter
facility must perform corrective actions to bring the slaughter
facility back into compliance. These records must be presented during
the annual organic inspection to verify that the slaughter facility is
in full compliance and has made all corrective actions. In addition,
AMS recognizes that in the U.S. some slaughter facilities are regulated
by the State for intra-state poultry sales. In foreign countries,
foreign governments may be the appropriate regulatory authority for
poultry slaughter inspections. In all cases, the relevant noncompliance
records and corrective action records must be presented during the
annual organic inspection.
Unlike the requirements for livestock slaughter inspection,
exemptions from poultry slaughter inspection exist for some poultry
which is going to be sold to the public. AMS is proposing handling and
slaughter standards for such poultry that is either exempt from or not
covered by the inspection requirement of the PPIA. Section
205.242(c)(3) would prohibit hanging, carrying, or shackling any lame
birds by their legs. Birds with broken legs or injured feet may suffer
needlessly if carried or hung by their legs. Such birds must either be
euthanized or made insensible before being shackled.
AMS is proposing new Sec. 205.242(c)(3)(i) through (iii) to
require that poultry slaughter operations which are either exempt or
not covered by the requirements of the PPIA meet animal welfare
standards that non-exempt slaughter operations must meet. AMS is
proposing to require that no lame birds be hung on shackles by their
feet. AMS is proposing to require that all birds that were hung or
shackled on a chain or automated slaughter system be stunned prior to
exsanguination. This requirement would not apply to small scale
producers who do not shackle the birds or use an automated system and,
instead, place the birds in killing cones before exsanguinating the
birds without stunning. AMS is proposing a new Sec. 205.242(c)(3)(iii)
to require that all birds be irreversibly insensible prior to being
placed in the scalding tank.
Requests for Comment on Proposed Slaughter Regulations
As stated above, by proposing that compliance with the FSIS
slaughter requirements for livestock and poultry be a condition of
organic certification, AMS would be establishing requirements that
govern the majority of mammalian and avian species slaughtered by
organic operations for human food in the United States. However, the
FMIA and PPIA provide for alternatives to Federal inspection of
slaughter not addressed by this proposal. Further, the import of meat
and poultry products produced by slaughter establishments in other
countries raises issues not addressed in
[[Page 21978]]
this proposal. AMS requests specific comments on these areas:
State-Inspected Slaughter Establishments
Meat and poultry establishments have the option to apply for
Federal or State inspection if they are located in states that operate
under a cooperative agreement with FSIS. State programs must enforce
requirements ``at least equal to'' those imposed under the FMIA, PPIA
and HMSA. However, product produced under state inspection can only be
sold or distributed in intra-state commerce, unless a State opts into
an additional cooperative program, the Cooperative Interstate Shipment
Program. How should AMS regulate livestock slaughter conducted at
certified operations inspected by State inspection programs?
Poultry Exemptions
The PPIA exempts from continuous inspection a number of types of
establishments that slaughter poultry based on various factors,
including volume of slaughter and the nature of operations and sales.
In some cases, these establishments would be inspected by State or
local government agencies. How should AMS regulate poultry slaughter at
certified operations exempt from FSIS inspection?
Meat and Poultry Imports
Under certain conditions, meat and poultry products may be imported
into the United States from operations in countries whose food
regulatory systems are determined by FSIS to be equivalent with its
regulatory system. Equivalence would include meeting the goals of the
humane slaughter requirements for livestock and the good commercial
practice requirements for poultry slaughter. Verification of compliance
with equivalent slaughter requirements would be performed by regulatory
authorities in the exporting countries. How should AMS regulate
livestock slaughter by certified operations in foreign countries?
F. Other Amendments Considered/Implementation
AMS describes below where we are significantly changing or omitting
provisions from the NOSB recommendations. The full NOSB recommendations
which serve as the basis for this action are available on the AMS Web
site at https://www.ams.usda.gov/rules-regulations/organic/nosb. The
NOSB recommendations are further described in the Background section of
this notice and in the description of the proposed amendments. In a few
instances, AMS is incorporating NOSB requirements with minor
alterations. For example, AMS is proposing a maximum of two weeks for
nest box training of poultry, compared to the five weeks recommended by
the NOSB. In general, minor alterations were made to either align with
third-party animal welfare standards or reduce potential paperwork
burden.
Documentation and Lists. The NOSB recommendations included
additional recordkeeping requirements to track practices and animal
status. Examples included (1) an annual submissions of lists of all
existing and purchased animals, (2) a list of animals with health
issues and the treatment provided, and (3) a list of animals that left
the operation and why they left. AMS did not include these explicit
provisions in order to reduce duplication and minimize the paperwork
burden. Producers are already required to maintain records on practices
and procedures, and describe monitoring practices and procedures under
the current scope of the organic system plan in Sec. 205.201. In
addition, the current USDA organic regulations require certified
operations to maintain records that are adapted to the particular
business the operation is conducting and fully disclose all activities
and transactions in Sec. 205.103(b). Therefore, the documentation and
recordkeeping provisions that the NOSB recommended would already be met
under the current regulations and would be sufficient to verify
compliance with the proposed requirements.
Avian indoor space requirements. AMS considered the NOSB
recommendation that only the first level of indoor space be included as
indoor space; and that perching areas and nest boxes could not be used
in the calculation of floor space. In effect this would prohibit
aviary-style housing, where chickens occupy multi-levels within a
house, in organic poultry production. A sizeable portion of organic egg
production currently comes from operations using aviary houses. AMS is
not including that provision because the existing and proposed
requirements for shelter and indoor space will ensure that these areas
accommodate the birds' natural behavior regardless of housing type. To
ensure that birds occupying the upper levels would go outside, this
proposed rule would require that producers must train birds to go
outside, that exit areas are of sufficient size and number to
facilitate easy exit and that there are enticements in the outdoor
areas to attract birds outside. Finally, AMS understands that aviary
houses are not prohibited in other third party animal welfare
certification programs.
Livestock health care. AMS considered the NOSB recommendation to
require livestock producers to use homeopathic remedies or botanicals
before they could use appropriate, synthetic medications. AMS is not
implementing this requirement because of the potential that this could
delay the use of effective treatments for sick or injured animals. AMS
examined the scientific basis for requiring homeopathic remedies or
botanicals and found insufficient evidence that these substances would
be more effective than conventional treatments to support a blanket
requirement for use. The NOSB recommendation did not provide this
information. This does not impact an organic producer's ability to use
homeopathic remedies or botanicals on livestock as long as they do not
contain unapproved synthetics or prohibited naturals, such as,
strychnine from Nux vomica. However, if livestock are sick or injured,
organic producers must not delay use of an appropriate medical
treatment by administering an unproven remedy.
Slaughter performance standards. The NOSB recommended a series of
performance standards for slaughter facilities which would have
required extensive paperwork for the facilities. However, considering
the current shortage of organic livestock slaughter facilities, AMS is
proposing the requirements in this document with the goal of limiting
the burden on extant organic slaughter facilities. AMS regularly
receives comments from organic livestock producers about the lack of
availability of organically certified slaughter facilities. Certified
organic livestock slaughtered in a non-certified slaughter facility
cause the resulting meat to lose organic status. AMS consulted with
FSIS about the specific NOSB performance standards and determined that
most of these additional requirements would be duplicative. This
duplication would have increased the paperwork burden and cost of
inspection without increasing animal welfare. AMS was concerned that
such an increased burden with no increase in animal welfare would
further limit the availability of certified organic slaughter
facilities. Below is a table listing some of the NOSB recommended
slaughter performance standards and the corresponding FSIS regulations.
[[Page 21979]]
------------------------------------------------------------------------
NOSB Recommendation or AMS preliminary
draft proposed regulatory text FSIS Response
------------------------------------------------------------------------
Mammalian Slaughter
(1) Slaughter plants must have non-slip This provision is covered by 9
flooring. CFR 313.1(b)--Floors of
livestock pens, ramps, and
driveways shall be constructed
and maintained so as to
provide good footing for
livestock. Slip resistant or
waffled floor surfaces,
cleated ramps, and the use of
sand, as appropriate, during
winter months are examples of
acceptable construction and
maintenance.
(2) Gates in the live animal area must This provision is covered by 9
swing freely, latch securely, and be CFR 313.1(a)--Livestock pens,
free of sharp or otherwise injurious driveways and ramps shall be
parts. Gates are never to be slammed maintained in good repair.
on animals. They shall be free from sharp
or protruding objects which
may, in the opinion of the
inspector, cause injury or
pain to the animals.
(3) Adequate lighting must be in place This provision is covered by--9
to allow animals to be easily observed. CFR 309.1(a)--All livestock
must be examined and inspected
on day of slaughter. This
requires that lighting is
sufficient for inspectors to
easily observe the animals.
(4) Livestock slips and falls must be This provision is covered by--9
scored in all parts of the facility CFR 313.2(a)--Driving
including unloading areas, holding livestock from the unloading
areas, chutes, stun box and the ramps to the holding pens and
stunning area. No more than 1 percent from the holding pens to the
of livestock may slip and no more than stunning area shall be done
1 percent of livestock may fall at any with a minimum of excitement
of the parts of the facility. and discomfort to the animals.
Livestock shall not be forced
to move faster than a normal
walking speed.
Scoring provided for in FSIS
Directive 6910.1--Acceptable-
No falls; Acceptable with
reservations-less than 1
percent.
(5) Humane treatment procedures for This provisions is covered by--
handling immobile and fatigued animals 9 CFR 309.3(e)--Non-ambulatory
upon arrival at the slaughter plant cows are to be euthanized--).
are in place. Handlers may use sleds FSIS has proposed to require
and place livestock in the bucket, but that non-ambulatory veal
may not push them up against a wall, calves need to be euthanized.
gate, or any other object. Other livestock are addressed
in 9 CFR 313.2(d)--Disabled
livestock and other animals
unable to move.
(6) Electric prods are available if This provision is covered--9
needed for human safety or for medical CFR 313.2(b)--Electric prods,
use, i.e., in an effort to save down canvas slappers, or other
animals. Prod use must stop after implements employed to drive
three shocks interspersed with rest animals shall be used as
periods or if the animal does not little as possible in order to
attempt to rise. Prods may never be minimize excitement and
applied to sensitive parts of the injury. Any use of such
animal: eyes, nose, ears, rectum, or implements which, in the
reproductive organs. Prods may not be opinion of the inspector, is
used on animals less than twelve excessive, is prohibited.
months of age. Scoring in FSIS Directive
6910.1.
(7) Plans for euthanasia of sick This provision is covered by 9
livestock must be described. CFR 309.13--Condemned animals
Euthanasia must only be performed by are to be killed by
trained personnel. Euthanasia establishment and not taken
equipment must be properly stored at into official establishment.
slaughter plants and maintained. Lists
of all animal euthanized and the
reason for euthanasia must be
maintained.
(8) No more than 3 percent of cattle FSIS does not have a
vocalize as they move through the vocalization standard.
restrainer, stunning box and stunning Vocalization is only as
area. No more than 5 percent of hogs evidence that animal was not
squeal in the restrainer due to human properly stunned in FSIS
provocation. No more than 5 percent of Directive 6910.1.
livestock vocalize when a head holder
is used during stunning or slaughter.
No more than 1 percent of hogs
vocalize due to hot wanding.
Electrodes must not be energized
before they are in firm contact with
the animal.
(9) Conscious, sensible mammals must This provision is covered by--9
never be restrained by suspending them CFR 313.2(f)--Stunning methods
by their limbs. One hundred percent of approved in 313.30 shall be
animals are insensible prior to being effectively applied to animals
hung on the bleed rail. prior to their being shackled,
hoisted, thrown, cast, or cut.
FSIS Directive 6910.1 Stunning
efficacy must be 100 percent.
(10) One hundred percent of mammals are This provisions is covered by--
insensible prior to being hung on the 9 CFR 313.2(f)--Stunning
bleed rail. method approved in 9 CFR313.30
shall be effectively applied.
This provision is also covered
in FSIS Directive 6910.1--The
DVMS is to observe and verify
that animals are unconscious
and insensible after stunning
and throughout the process of
shackling, hoisting, cutting,
and bleeding.
(11) Ninety-five percent of cattle and This provisions is covered by--
sheep are effectively stunned with one 9 CFR 313.15(a)(3),
shot via captive bolt or gunshot. 313.16(a)(3), 313.30(a)(3)--
Ninety-nine percent of electrodes are Requires that animal be in
placed correctly when livestock are state of unconsciousness
stunned with electricity. immediately after first stun.
This provision is also covered
in FSIS Directive 6910.1--
Acceptable stunning is 100
percent. Acceptable with
reservations is effectiveness
of greater than 99 percent but
less than 100 percent.
(12) When carbon dioxide (CO2) or other This provision is covered by 9
controlled atmosphere stunning CFR 313.5.
systems, including gondolas or other
conveyances for holding a group of
animals, are used, animals must be
able to lie down or stand without
being on top of one another. When head
to tail conveyor systems are used,
this score may be omitted.
Avian Slaughter........................ Avian slaughter is addressed in
FSIS Directives 6100.3 and
6910.1. Operations meet good
commercial practices, 9 CFR
381.65(b).
(1) No lame birds may be shackled, hung This provisions is--included as
or carried by their legs. Mistreatment of poultry, which
is addressed in FSIS Directive
6100.3--establishment
employees must not mistreat
birds or handling them in a
way that will cause death or
injury or prevent thorough
bleeding or result in
excessive bruising.
[[Page 21980]]
(2) All birds shackled on a chain or This provisions is addressed in
automated system must be stunned prior FSIS Directive 6910.1
to exsanguination.
(3) All birds must be irreversibly This provisions is covered by 9
insensible prior to being placed in CFR 381.65(b)--Poultry must be
the scalding tank. slaughtered in accordance with
good commercial practices in a
manner that will result in
thorough bleeding of the
carcasses and ensure that
breathing has stopped before
scalding.
------------------------------------------------------------------------
Implementation. The provisions of this proposed rule, except for
the avian outdoor space requirements in Sec. 205.241(c), would be
implemented one year after the publication date of the final rule. AMS
chose a one-year period for operations and certifying agents to become
familiar with the requirements and make modifications to their
practices, e.g., updating organic system plans, training staff.
AMS is proposing two distinct implementation timeframes for the
avian outdoor space requirements. First, three years after the
publication of the final rule any non-certified poultry house or
facility would need to comply in order to obtain certification. This
would include facilities that are not certified at the three-year mark,
but subsequently become part of a certified operation. The three-year
period would allow producers to transition the outdoor space to organic
production.
Second, all poultry houses and facilities certified prior to the
three-year mark would need to comply within five years of the
publication of the final rule. AMS is choosing a five- year compliance
period to reduce the economic burden on existing organic producers,
without unduly delaying the implementation of practices for improved
animal welfare. As explained in the Regulatory Impact Analysis, the
five-year period reflects the average time remaining to fully
depreciate an average barn for laying hens. Since AMS expects that the
costs associated with this rule will fall primarily on organic egg
producers, the five-year period will allow the average producer to
write off the capital costs on their tax returns.
IV. Related Documents
Documents related to this proposed rule include the Organic Foods
Production Act of 1990, as amended, (7 U.S.C. 6501-6522) and its
implementing regulations (7 CFR part 205). The NOSB deliberated and
made the recommendations described in this proposal at public meetings
announced in the following Federal Register Notices: 67 FR 19375 (April
19, 2002); 67 FR 54784 (August 26, 2002); 67 FR 62949 (October 9,
2002); and 68 FR 23277 (May 1, 2003). NOSB meetings are open to the
public and allow for public participation.
AMS published a series of past proposed rules that addressed, in
part, the organic livestock requirements at: 62 FR 65850 (December 16,
1997); 65 FR 13512 (March 13, 2000); and 71 FR 24820 (April 27, 2006).
Past final rules relevant to this topic were published at: 65 FR 80548
(December 21, 2000); and 71 FR 32803 (June 7, 2006).
A. Executive Orders 12866 and 13563
Executive Orders 12866 and 13563 direct agencies to assess all
costs and benefits of available regulatory alternatives, and, if
regulation is necessary, to select regulatory approaches that maximize
net benefits (including potential economic, environmental, public
health and safety effects, distributive impacts, and equity). Executive
Order 13563 emphasizes the importance of quantifying both costs and
benefits, of reducing costs, of harmonizing rules, and of promoting
flexibility. This rulemaking has been designated as a ``significant
regulatory action'' under section 3(f) of Executive Order 12866, and,
therefore, has been reviewed by the Office of Management and Budget
(OMB).
Need for the Rule
AMS is proposing this rulemaking to maintain consumer confidence in
the high standards represented by the USDA organic seal. Specifically,
this action is necessary to augment the USDA organic livestock
production regulations with robust and clear provisions to fulfill a
purpose of the OFPA, to assure consumers that organically-produced
products meet a consistent and uniform standard (7 U.S.C. 6501). The
added specificity would further the process, initiated with the
enactment of OFPA, to develop detailed standards for organic livestock
products.\18\ OFPA mandates that detailed livestock regulations be
developed through notice and comment rulemaking and intends for NOSB
involvement in that process (7 U.S.C. 6508(g)). In 2010, AMS published
a final rule (75 FR 7154, February 17, 2010) clarifying the pasture and
grazing requirements for organic ruminants, which partially addressed
OFPA's objective for more detailed standards. This present rulemaking
would extend that level of detail and clarity to all organic livestock
and ensure that organic standards cover their entire lifecycle.
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\18\ The Senate report that accompanied the OFPA legislations
set the expectation for greater specificity in the future for
organic livestock standards as the industry matured: ``More detailed
standards are enumerated for crop production than for livestock
production. This reflects the extent of knowledge and consensus on
appropriate organic crop production methods and materials. With
additional research and as more producers enter into organic
livestock production, the Committee expects that USDA, with the
assistance of the National Organic Standards Board will elaborate on
livestock criteria.'' Senate Committee on Agriculture, Forestry and
Nutrition, Report of the Committee on Agriculture, Forestry and
Nutrition to Accompany S. 2830 Together with Additional and Minority
Views, 101st Congress, S. REP. NO. 101-357, at 289 (1990).
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AMS issued an administrative appeal decision in 2002 that allowed
the certification of one operation that used porches as outdoor access
to protect water quality. This Decision served to address a fact-
specific enforcement issue. Some certifying agents used this appeal
decision to grant certification to poultry operations using porches to
provide outdoor access. Thereafter, certification and enforcement
actions have remained inconsistent and contributed to wide variability
in living conditions for organic poultry, as well as consumer confusion
about the significance of the organic label with regard to outdoor
access. In accordance with OFPA, this proposed action will clarify USDA
statutory and regulatory mandates and establish consistent,
transparent, and enforceable requirements. Further, it will align
regulatory language and intent to enable producers and consumers to
readily discern the required practices for organic poultry production
and to differentiate the products in the marketplace.
This proposed rule would add requirements for the production,
transport and slaughter of organic livestock. Most of these align with
current practices of organic operations (e.g., prohibiting or
restricting certain
[[Page 21981]]
physical alterations, euthanasia procedures, housing for calves and
swine). The proposed provisions were developed by the NOSB in
consideration of other animal welfare certification programs, industry
standards, input from organic producers, and input from public
comment.\19\ According to a survey by the Organic Egg Farmers of
America, 76 percent of organic egg production in the U.S. participates
in private animal welfare certification programs.\20\ Therefore, AMS
expects that many of the requirements in this proposed rule are already
implemented and will not produce significant costs. Producers may incur
some costs such as increased paperwork (see the Paperwork Reduction Act
analysis below), building additional fences, providing shade in outdoor
areas, or creating more doors in poultry houses.
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\19\ NOSB, December 2011. Formal Recommendation of the National
Organic Standards Board to the National Organic Program, Animal
Welfare and Stocking Rates, Available at: https://www.ams.usda.gov/rules-regulations/organic/nosb/recommendations.
At the NOSB meeting in November 2010, the NOSB explained how the
recommended handling, transport and slaughter provisions aligned
with the American Meat Institute's animal handling guidelines. These
guidelines cover handling, transportation and slaughter and are
standard industry practices. The transcripts from that meeting are
available at: https://www.ams.usda.gov/rules-regulations/organic/nosb/meetings.
\20\ Organic Egg Farmers of America (OEFA), Organic Poultry
Industry Animal Welfare Survey, 2014.
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This proposed action includes provisions to facilitate consistent
practices regarding stocking densities and outdoor space at organic
poultry operations. The outdoor space issues are divisive and
controversial among producers and other stakeholders, and, therefore,
the scope of this analysis focuses on impacts to the organic poultry
sector. The current practices of organic poultry operations to provide
outdoor access and minimum indoor and outdoor space per bird vary
widely. This disparity causes consumer confusion about the meaning of
the USDA organic label, threatens to erode consumer confidence in the
organic label more broadly, and perpetuates unfair competition among
producers. This rule would enable AMS and certifying agents to
efficiently administer the NOP. In turn, the consistency and
transparency in certification requirements will facilitate consumer
purchasing decisions.
Consumer surveys indicate the need for more precise animal welfare
standards within the USDA organic regulations. A 2014 Consumer Reports
Organic Food Labels Survey noted that half of consumers believe that
organic chicken living space meets minimum size requirements; 68
percent believe there should be minimum size requirements. Further, 46
percent believe organic chickens went outdoors; 66 percent believe the
chickens should have gone outdoors.\21\ A second survey, designed by
the American Society for the Prevention of Cruelty to Animals, showed
that 63 percent of respondents believe that organic livestock have
access to pasture and fresh air throughout the day and 60 percent
believe that organic livestock have significantly more space to move
than non-organic animals.\22\
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\21\ Consumer Reports National Research Center, Organic Food
Labels Survey, March 2014. Nationally representative phone survey of
1,016 adult U.S. residents.
\22\ This phone survey was administered to 1,009 adults in
October 2013.
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The majority of organic poultry producers also participate in
private, third-party verified animal welfare certification
programs.\23\ These certification programs vary in stringency,
particularly for outdoor access requirements. Such widespread
participation among organic poultry producers is evidence that
consumers want additional label claims to provide information about
animal welfare practices. This proposed rule would align consumer
expectations and the production practices required to make an organic
label claim regarding animal welfare for poultry.
---------------------------------------------------------------------------
\23\ Organic Egg Farmers of America, 2014.
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The broad latitude afforded by the existing USDA organic
regulations leads to wide variance in production practices within the
organic egg sector (e.g., a porch in contrast to extensive outdoor area
with diverse vegetation). These differences are not discernable to
consumers through use of the USDA organic label. Consumers are
increasingly aware of these varying outdoor production practices and
either seek specific brands of organic eggs based on information about
living conditions at individual farms, or seek animal welfare labels in
addition to the USDA organic seal.
AMS believes that many livestock and poultry producers would prefer
to use the organic label to convey information about their practices to
consumers. While sales of organic products, including eggs and poultry,
continue to increase annually, surveys designed to measure consumer
trust in the organic label reveal consumer confusion about the meaning
of the label. A report on organic food and beverage shoppers states
that one-third of the respondents indicated that the term ``organic''
has no real value or definition.\24\ The study concludes that consumers
are confused by the various marketing terms, such as ``natural,'' and
advises organic brands to convey more information to consumers. AMS
believes that in the context of organic livestock and poultry
production, particularly egg production, variations in practices result
in consumers receiving inadequate and inconsistent information about
livestock products. This is supported by the consumer survey results
described above. By establishing clear and equitable organic livestock
and poultry standards, this rule would help organic producers to more
effectively market their products. It would (1) provide for consistent
information to consumers about animal living conditions to distinguish
organic products from competing labeling terms in the market, and (2)
alleviate the need for multiple certifications and eliminate
duplicative paperwork, on-site inspections and additional costs.
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\24\ Mintel Group Ltd., ``Organic Food and Beverage Shoppers--
US--March 2015.'' March 2015.
---------------------------------------------------------------------------
In 2009 and 2011, the NOSB issued recommendations, as authorized by
OFPA, for additional requirements to support animal welfare. In the
process of developing these recommendations, the NOSB consulted with
and received numerous public comments from authorities in the fields of
animal welfare, consumers, livestock producers and certifying agents.
AMS developed this proposed rule in response to the NOSB
recommendations and stakeholder feedback.
This action also responds to the 2010 USDA Office of Inspector
General (OIG) audit findings of inconsistent applications of the USDA
organic regulations for outdoor access for livestock. OIG noted the
absence of regulatory provisions covering the length (i.e., hours per
day) of outdoor access and the size of the outdoor area. Among organic
poultry producers, OIG observed wide variation in the amount of outdoor
space provided. As recommended by OIG, AMS published draft guidance,
Outdoor Access for Organic Poultry, for public comment (75 FR 62693,
October 13, 2010).\25\ The draft guidance advised certifying agents to
use the 2002 and 2009 NOSB recommendations as the basis for
certification decisions regarding outdoor access for poultry. The draft
guidance informed certifying agents and producers that maintaining
poultry on soil or outdoor runs would demonstrate
[[Page 21982]]
compliance with the outdoor access requirement in Sec. 205.239.
However, after extensive comments by producers, certifying agents and
other stakeholders, including the request for rulemaking, AMS
determined to pursue rulemaking to clarify outdoor access for poultry
and did not finalize the guidance.
---------------------------------------------------------------------------
\25\ The draft guidance was published on March 10, 2013 and
posted on the NOP Web site.
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Baseline
This baseline focuses on the current production of organic eggs and
the market for this commodity. AMS used multiple data sources, listed
below, to describe the baseline and inform our assumptions for the cost
analysis:
2011-2014 Organic Industry Surveys, published by the
Organic Trade Association (OTA). The Nutrition Business Journal
conducts this annual survey on behalf of OTA to summarize market
information and trends within the organic industry across food and non-
food sectors.\26\
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\26\ Organic Trade Association (OTA)/Nutrition Business Journal,
2014 Organic Industry Survey. Nutrition Business Journal conducted a
survey between Jan 27, 2014 and April 5, 2014 to obtain information
for their estimates. Over 200 organic firms responded to the survey.
NBJ used secondary data from SPINS, Nielsen, and IRI to supplement
the survey and build market statistics.
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2014 Organic Survey, National Agricultural Statistics
Service (NASS).\27\ This survey reports acreage, production and sales
data for organic crops and livestock.
---------------------------------------------------------------------------
\27\ The 2014 Organic Survey is accessible at: https://www.agcensus.usda.gov/Publications/Organic_Survey/.
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2011 Organic Production Survey, National Agricultural
Statistics Service (NASS).\28\ This survey reports acreage, production
and sales data for organic crops and livestock.
---------------------------------------------------------------------------
\28\ The 2011 Organic Production Survey is accessible at: https://usda.mannlib.cornell.edu/MannUsda/viewDocumentInfo.do?documentID=1859.
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The National Animal Health Monitoring and Surveillance
(NAHMS) 2013 Layers study.\29\ This study includes a section on organic
egg production in the U.S., which provides an overview of various
practices on organic layer operations.
---------------------------------------------------------------------------
\29\ The NAHMS Poultry studies may be found at the following
link: https://1.usa.gov/1IkWw22.
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AMS also used summary information from the USDA Livestock,
Poultry and Grain Market News Service (Market News) egg and broiler
market news reports from 2010 to 2014.\30\ \31\
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\30\ USDA AMS LPS Market News (Market News) 2010-2014 Egg Market
News report. Available on the Market News Web site at: https://1.usa.gov/1vlDNgy.
\31\ USDA AMS LPS Market News (Market News) 2010-2014 Broiler
Market News report. Available on the Market News Web site at: https://1.usa.gov/1uHsme1.
---------------------------------------------------------------------------
Organic Egg Farmers of America (OEFA), Organic Poultry
Industry Animal Welfare Survey, 2014. OEFA independently conducted and
submitted the results of a survey of organic egg and broiler producers.
There were 157 survey responses, representing 8.33 million organic
layers (77 percent of organic production) and 12 million organic
broilers (62 percent of production). The survey was distributed to
certified organic poultry producers in July 2014.
Egg Industry Center (EIC) Survey of U.S. Organic Egg
Production. EIC independently conducted and submitted this survey which
was distributed to organic egg producers with at least 30,000 hens.
Respondents totaled 23, representing 5.07 million hens.
Economic Impact Analysis of Proposed Regulations for
Living Conditions for Organic Poultry, Phase 3 Report by T. Vukina, K.
Anderson, M.K. Muth and M. Ball. This report, prepared for the NOP,
estimated the costs for implementing the NOSB recommendation on avian
living conditions. The analysis in this proposed rule essentially
updates and expands the model used by Vukina et al., to estimate
current costs and different producer response scenarios.
The Organic Egg and Poultry Market
According to the 2015 Organic Trade Association (OTA) Industry
Survey, U.S. sales of organic food, fiber, and agricultural products
totaled over $39.1 billion in 2014, up 11 percent from 2013.\32\ Sales
of organic eggs reached $514 million in 2014, an increase of 17 percent
over the previous year. This sector has experienced continued double-
digit sales growth since 2010, as shown in Table 2. In addition, the
average retail price for one dozen, organic brown eggs has climbed 16.3
percent on average, each year between 2010 and 2014. The rate of growth
may be affected by several factors, including: (1) The price gap
between organic and non-organic eggs based on the cost of organic and
non-organic feed--this may slow or increase growth depending on size of
the gap; (2) factors other than price driving consumer purchasing
decisions, e.g., concerns about production practices; (3) competition
from cage-free labels; and (4) accuracy in forecasting consumer demand.
---------------------------------------------------------------------------
\32\ OTA, 2015 Organic Industry Survey.
---------------------------------------------------------------------------
In 2014, poultry sales ($453 million) grew nearly 13 percent and
accounted for the greatest portion (60 percent) of the organic meat,
poultry and fish market sector. As shown in Table 2, annual sales of
organic poultry have climbed steadily since 2010, while retail prices
for organic boneless, skinless breasts have fallen.\33\ In comparison
to beef, pork, and other meat products, poultry faces fewer obstacles
to growth because feed for poultry is cheaper and time to market is
shorter.\34\
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\33\ Retail prices for organic whole fryers per pound have
fluctuated between 2010 and 2014, peaking in 2012 and falling the
following two years.
\34\ OTA, 2010-2014 Organic Industry Surveys.
Table 2--Organic Eggs and Broilers Market--Retail Sales
----------------------------------------------------------------------------------------------------------------
Average retail price \b\
Annual sales (dozen eggs \c\/
Subcategory Year (million $) Percent growth boneless, skinless
breast)
----------------------------------------------------------------------------------------------------------------
Eggs................................. \a\ 2014 514 17 4.16.
2013 439 16.9 4.16.
2012 375 17.5 4.11.
2011 319 20.2 3.90.
2010 266 10.4 3.85.
Poultry.............................. \a\ 2014 453 12.9 7.37/lb.
2013 401 9.3 7.20/lb.
2012 367 10.8 7.38/lb.
2011 331 12.5 7.49/lb.
[[Page 21983]]
2010 294 6.3 7.54/lb.
----------------------------------------------------------------------------------------------------------------
\a\ As of September 5, 2014.
\b\ Based on supermarket advertised sale prices reported by AMS Livestock, Poultry and Seed Market News (see
footnotes 19 and 20).
\c\ Brown, Large, Grade A.
Table 3 shows the geographical distribution of organic egg and
broiler production in the U.S., based on the USDA 2014 Organic Survey.
There are an estimated 722 organic egg producers and 245 organic
broiler operations. Five states are responsible for over one-third of
organic egg production. Pennsylvania and California operations comprise
only 7.5 percent of the total number of organic poultry producers, but
produce 35 percent and 32 percent, respectively, of organic eggs.
California also has 6.5 percent of U.S. organic broiler operations,
which produce about 54 percent of organic broilers. Conversely, the
production from states which report higher numbers of broiler
operations, such as Wisconsin and Maine, is less than 1 percent of
production. Several states do not report total production volume for
broilers to protect confidentiality. Given these omissions, the data
does not provide details of nearly 50 percent of state level production
of organic broilers.
Table 3--Top States With Organic Egg and Poultry Operations Compared to Production
----------------------------------------------------------------------------------------------------------------
Number of Percent of US Total Percent of US
organic egg organic egg production organic egg
operations operations (dozens) production
----------------------------------------------------------------------------------------------------------------
Organic Eggs \a\
----------------------------------------------------------------------------------------------------------------
United States................................... 722 .............. 166,313,847 ..............
Top 5 States \c\................................ 334 46.1 61,157,980 36.7
Wisconsin....................................... 97 13.3 7,450,488 12
Iowa............................................ 74 10.2 8,628,066 14
Maine........................................... 55 7.6 4,051,040 7
Pennsylvania.................................... 54 7.5 21,623,599 35
California...................................... 54 7.5 19,449,787 32
----------------------------------------------------------------------------------------------------------------
Organic Broilers \a\
----------------------------------------------------------------------------------------------------------------
Number of Percent of US Total Percent of US
organic organic production organic
broiler broiler (birds) broiler
operations operations production \e\
----------------------------------------------------------------------------------------------------------------
United States................................... 245 .............. 43,255,401 ..............
Top 5 States \c\................................ 130 53 \d\ 23,319,734 53.9
Wisconsin....................................... 32 13 21,104 0
Pennsylvania.................................... 30 12.2 N/A N/A
New York........................................ 28 11.4 N/A N/A
Maine........................................... 24 9.8 23,134 0
California...................................... 16 6.5 23,275,496 53.8
----------------------------------------------------------------------------------------------------------------
\a\ Source: National Agricultural Statistics Service, ``2014 Organic Survey.''
\c\ States ranked by both number of farms and total production.
\d\ This total does not include production for Pennsylvania and New York. The 2014 Organic Survey does not
disclose the broiler production data for those states. In order to protect confidentiality, any tabulation
which identifies data reported by a respondent or allows a respondent's data to be accurately estimated is not
disclosed.
\e\ There were other states that had higher production than the states reporting in this table, but had fewer
organic broiler operations. Kentucky produced 27,685 broilers, but only had 7 organic broiler operations.
Michigan produced 13,018 broilers, but had only 6 organic broiler operations.
Alternatives Considered
AMS considered alternatives to the proposed action. Specifically,
AMS reviewed options for indoor stocking density and outdoor space
requirements for layers and implementation timeframes. For each
alternative, AMS examined how the provision aligned with the animal
welfare objectives supported by the organic community and the potential
costs and benefits to organic producers. The options are presented and
discussed below.
[[Page 21984]]
Table 4--Indoor Stocking Density Options--Laying Hens
------------------------------------------------------------------------
Alternative Basis
------------------------------------------------------------------------
Option 1--Minimum of 2.0 ft\2\ per Consistent with the NOSB
layer. recommendation. This would
provide more space per bird
than private animal welfare
standards.
Option 2--Minimum of 1.8 ft\2\ per Provides increased space for
layer. birds while curtailing costs.
On par with most stringent
private third-party animal
welfare standard.
Option 3--maximum 3.0 to 4.5 lbs/ft\2\ Consistent with current
depending upon the housing system.\a\ industry practice for many
(Proposed rule) organic egg producers. Aligns
with the majority of private
third-party animal welfare
certification programs.
------------------------------------------------------------------------
\a\ This is equivalent to 1.0-1.5 ft\2\ per bird. The reasoning and
method for converting to pounds per square foot is discussed in the
preamble section C for Avian Living Conditions.
The NOSB recommended indoor and outdoor space metrics for poultry
as a component of broad measures to enhance animal welfare practices on
organic livestock operations. Citing consumer demand for humane
treatment of livestock, the proliferation of animal welfare
certification labels, organic standards of major trading partners
(e.g., Canada, the European Union), and varying practices among organic
producers, the NOSB determined it was necessary to set maximum stocking
densities for organic poultry.\35\ The NOSB aimed to develop stringent,
comprehensive, and consistent animal welfare requirements for organic
livestock and poultry production that would meet consumer demand and
foster equitable certification decisions and fair competition among
producers, consistent with the objectives of OFPA. The costs and
benefits of the proposed alternatives are discussed in more detail in
the next section below.
---------------------------------------------------------------------------
\35\ The European Union Organic Standards and the Canadian
Organic Regime Standards specify indoor and outdoor stocking
densities for various types of livestock, including laying hens: 6
birds/m\2\ indoors; 4 birds/m\2\ outdoors. After converting the
units for the stocking densities recommended by the NOSB, the
metrics are comparable to the EU and Canada: the NOSB would require
slightly more space per bird indoors and slightly less outdoors.
This proposed rule would adjust the indoor stocking density to allow
more birds to occupy a given unit of indoor area.
---------------------------------------------------------------------------
Indoor stocking density. AMS considered a range of indoor stocking
densities, including 2.0 ft\2\/bird or 1.8 ft\2\/bird for all layer
operations, or 1.0--1.5 ft\2\/bird depending on the housing system. The
NOSB recommended a minimum of 2.0 ft\2\ per hen indoors and explained
that the metric could be adjusted during colder months to allow
producers to increase the density to maintain heat in poultry houses.
In order to examine the difference in costs, AMS also considered
setting the indoor stocking density at 1.8 ft\2\ to parallel the most
stringent indoor stocking density of a private animal welfare
certification standard.
AMS is not pursuing the 2.0 ft\2\/bird or 1.8 ft\2\/bird options.
The estimated costs to implement a 1.8 ft\2\/bird indoor stocking
density range between $70 million to $260 million annually depending on
various producer response scenarios.\36\ \37\ AMS considered the
estimated costs associated with the alternatives for reduced stocking
densities would be unduly burdensome on individual organic egg
producers and could cause a sizeable reduction in the supply of organic
eggs. We believe that requiring 2.0 ft\2\ or 1.8 ft\2\ per bird would
adversely impact most organic egg production and likely cause
approximately 80 percent of current organic egg production to exit the
organic market. Reducing the number of layers to comply with those
stocking densities would result in lost revenue and increased marginal
operating costs from the reduced number of birds or compel producers to
incur high capital costs for building additional housing to accommodate
existing production levels.
---------------------------------------------------------------------------
\36\ AMS evaluated the costs for 4 different producer response
scenarios: (1) All producers incur costs to maintain their current
level of production; (2) some producers maintain their current level
of production and some transition to the cage-free egg production;
(3) all producers comply with the proposed rule by maintaining their
existing facilities (and reduce the number of birds to meet the
indoor stocking density); and, (4) some producers comply by
maintaining existing facilities while other producers transition to
cage-free egg production. Producers who exit to the cage-free market
would be expected to have lower net returns, compared to organic
eggs, as discussed below in the Costs section.
\37\ These cost were projected over a 10-year period versus a
13-year period which was used for the estimated costs for the
proposed rule provided in the section below. AMS used a 10-year
period in the initial cost estimates to compare various
alternatives.
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AMS is proposing to set the indoor stocking density based on
housing systems as follows: 4.5 lbs/ft\2\ (equivalent to 1.0 ft\2\ per
bird) for pastured poultry and aviary/multi-level housing; 3.75 lbs/
ft\2\ (1.2 ft\2\ per bird) for poultry houses with slatted/mesh
flooring systems and 3.0 lbs/ft\2\ (1.5 ft\2\ per bird) for poultry
houses with floor litter. These metrics are consistent with the
standards of a common third-party animal welfare certification program.
We expect that most organic poultry producers currently meet or exceed
those levels. This proposed rule would require certain features for the
housing, including perches and flat roosts and space for dust bathing
and self-isolation. These measures, in conjunction with the stocking
density, support the natural behaviors and well-being of the birds. The
tiered indoor stocking densities will foster a consistent level of
poultry living conditions. It would also ease any disparate burden on
producers in colder climates while maintaining consistency throughout
the industry and meeting consumer expectations for organic poultry
production.
Outdoor stocking density. The USDA organic regulations require that
livestock have year-round access to the outdoors, fresh air, direct
sunlight and shade (Sec. 205.239(a)). Other than identifying
circumstances when livestock may be temporarily confined (Sec.
205.239(b)), the regulations do not provide details on the frequency or
duration of outdoor access or size of the outdoor space. Outdoor access
is integral to organic production, and consumers expect that it is
standard practice throughout the organic egg sector. Notably, outdoor
access is not mandatory for all third-party animal welfare
certification programs. AMS is proposing to set outdoor stocking
densities for poultry and to clarify whether porches are acceptable for
outdoor access.
AMS is proposing that layers must have a maximum of 2.25 pounds/
ft\2\ in the outdoor area.\38\ Under this proposed rule, outdoor areas
would need to be large enough to hold all birds simultaneously with a
maximum of 2.25 pounds/ft\2\. This is consistent with the
[[Page 21985]]
NOSB recommendation for outdoor stocking density.\39\ The NOSB selected
that minimum threshold to protect soil quality and minimize parasite
loads.
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\38\ As discussed above, this is approximately equivalent to 2.0
square feet per bird. AMS changed the units to pounds per square
foot so that the actual space per bird is similar across birds of
different species or breeds.
\39\ The NOSB recommended a range of 2.0 ft\2\--5.0 ft\2\ per
bird in the outdoor areas, explaining that a minimum of 5 ft\2\
would ensure the availability of vegetation to birds during the
growing season. As discussed in the paragraph below, AMS is not
adopting a vegetation requirement for the outdoor area. In addition,
we believe that a minimum 5.0 ft\2\/bird outdoor stocking density
would be untenable because of the additional land needed.
---------------------------------------------------------------------------
The NOSB also stipulated that outdoor access areas be soil-based
and have at least 50 percent vegetation cover. While AMS believes that
vegetation is an important feature to encourage birds to use outdoor
areas, we are not proposing a minimum vegetation requirement, as that
may be difficult to maintain in certain locations with drier climates.
However, AMS is proposing to require enrichment of the outdoor space
which could be met with 50 percent vegetative cover. This proposed rule
would require that the outdoor area have at least 50 percent soil.
Chickens use soil for dust bathing, and this would support the NOSB's
objective to encourage birds to occupy outdoor areas. This soil
threshold would also uphold consumer expectations for outdoor access,
while providing some flexibility for operations which currently have
concrete or other surfaces in the outdoor area. AMS did not estimate
the potential cost to implement this proposed requirement due to wide
variability in the site-specific conditions. AMS does make assumptions
about whether producers have the adequate land base to accommodate the
outdoor stocking density and we have estimated the costs for obtaining
needed land as discussed below. However, even producers who have the
adequate land base may need to modify that area (e.g, install fencing)
to provide access to the soil.
AMS considered proposing minimum space requirements of 2.25 pounds/
ft\2\ to accommodate either 10 percent, 50 percent or 100 percent of
layers in a house to be outdoors at one time. AMS examined the 10 and
50 percent alternatives based upon information that only a portion of a
flock is outdoors at any given time. Under the 10 and 50 percent
scenarios, the maximum stocking density would be exceeded whenever more
than 10 percent or 50 percent of the flock is outdoors. As an example,
in the 10 percent scenarios, if 20 percent of the flock was outside,
then stocking density would be effectively reduced by 50 percent.
Requiring the outdoor space to accommodate only 10 percent of a flock
would sanction the status quo, and operations which provide the least
amount of outdoor area would be permitted to maintain those conditions.
The monetary costs of a 10 percent or 50 percent alternative would
be substantially lower than the estimated costs of the proposed rule.
As discussed below, the increased outdoor access requirements for all
birds drives the costs of the proposed rule by reducing production
volume and increasing operating expenses (land and feed). Under these
alternatives, most organic producers would not need to acquire
additional land and birds would have reduced exposure to predators and
parasites, However, selecting the lower cost alternative would
undermine the preferences of many organic egg producers and consumers;
the success of the organic label marketing program depends upon
practices which reflect the preferences of the participants and
consumers who chose organic eggs in the marketplace. Adequate outdoor
access is a core concern among organic consumers; outdoor areas that
accommodate relatively few birds would not align with consumer
expectations and would perpetuate an uneven playing field among
producers. Further, the higher density may be detrimental to soil
quality and parasite loads.
Requiring that the outdoor area accommodate half of the flock would
not adequately provide for each bird to have outdoor access with space
to express natural behaviors. This could work as a disincentive for
birds to go outside and does not support the intent of the USDA organic
regulations that livestock use outdoor areas. Further, consumers expect
all organic livestock to have access to and use outdoor space, and this
approach could have unknown, but likely negative, impacts on consumer
confidence in the organic egg sector. Given the likelihood that more
than half of a flock would use the outdoor area simultaneously and
consistently, we believe that resulting crowding in the outdoor area
from a higher stocking density would ultimately deter birds from
occupying the outdoor space. Together, the proposed stocking density
requirements and the requirements for birds to be outdoors at an early
age, including that these areas provide shade and soil access, should
encourage more than half of the flock to regularly occupy this space.
Porches as outdoor areas. AMS also considered whether porches
should count as outdoor space. In general, a porch is a screened-in
area with a solid roof overhead. AMS estimates that at least 50 percent
of organic egg production comes from operations that use porches
exclusively to provide outdoor access. The use of porches for outdoor
access on organic operations is contentious. The practice of using
porches to provide outdoor access in organic poultry operations gained
popularity following a 2002 AMS administrative appeal decision which
allowed the certification of one poultry operation planning to provide
outdoor access via porches. This appeal decision was used by some
poultry producers to justify that porches may satisfy the requirement
to provide outdoor access for poultry under the USDA organic
regulations. Organic production systems utilizing porches to provide
outdoor access have increased since that time.
In 2011, the NOSB, with the support of numerous producer and
consumer stakeholders, unanimously recommended that enclosed, covered
porches should not be considered outdoor access. Consistent with that
recommendation, this proposed rule specifically defines ``outdoors'' to
exclude porches. The stipulation that porches are not outdoor space is
consistent with the U.S. Food and Drug Administration (FDA) position.
In July 2013, FDA published draft guidance on outdoor access under the
FDA 2009 Prevention of Salmonella Enteritidis in Shell Eggs
regulations.\40\ The draft guidance states that structures attached to
the poultry houses, such as porches, would be subject to testing and
sanitizing in the same way as the actual poultry house, while the
ground and other outdoor areas would not be subject to those testing
and sanitizing requirements. Notably, FDA's draft guidance states that
covered porches are part of the poultry house.
---------------------------------------------------------------------------
\40\ Draft Guidance for Industry: Questions and Answers
Regarding the Final Rule, Prevention of Salmonella Enteritidis in
Shell Eggs During Production, Storage, and Transportation (Layers
with Outdoor Access) https://www.fda.gov/food/guidanceregulation/guidancedocumentsregulatoryinformation/eggs/ucm360028.htm.
---------------------------------------------------------------------------
Proponents of porches state that they are essential for biosecurity
to protect poultry from predation and disease that could result from
contact with wild animals or feces. However, producers, consumers and
other stakeholders who oppose porches state that porches provide a
competitive advantage by reduced mortality to predator loss and
decreased feed conversion rates (less feed to produce a dozen eggs).
Opponents have challenged the contention that porches are essential to
biosecurity, citing other disease control methods, such as the removal
of vegetation directly outside the poultry
[[Page 21986]]
house, the use of netting over outdoor areas and placing footbaths at
the entrances to houses. Further, the outbreak of Highly Pathogenic
Avian Influenza (HPAI) that began in December 2014 in the U.S. was
detected in 211 commercial flocks, which are primarily exclusively
indoor operations. HPAI was detected in 21 backyard flocks which
generally provide ample outdoor access.\41\
---------------------------------------------------------------------------
\41\ USDA APHIS reports and data can be found at the following
site: https://www.aphis.usda.gov/aphis/ourfocus/animalhealth/animal-disease-information/avian-influenza-disease/!ut/p/z1/04_iUlDg4tKPAFJABpSA0fpReYllmemJJZn5eYk5-hH6kVFm8X6Gzu4GFiaGPu6uLoYGjh6Wnt4e5mYG7mam-l76UfgVFGQHKgIAz0VrTQ!!/.
---------------------------------------------------------------------------
AMS agrees with FDA that porches are not outdoor space. They do not
provide contact with soil nor align with consumer expectations and NOSB
recommendations for outdoor access. Codifying the allowance of porches
as outdoor space in organic production would not address the wide
disparity in outdoor access provisions within this sector. This
disparity leads to consumer confusion about husbandry practices and
places some producers at a competitive disadvantage, and thus would not
meet the OFPA's intent to assure consumers that organically produced
products meet a consistent and uniform standard. AMS is concerned that
allowing porches as the sole area for outdoor access could erode
consumer demand for organic eggs and lead to an exodus of consumers and
producers for other labeling programs. Furthermore, allowing porches to
be considered as part of an outdoor area would not substantially
mitigate the estimated costs associated with the proposed rule. In
comparison to the land area needed for outdoor access, porches cover a
small portion, so a producer would still need to provide access to land
that extends beyond the porch area.
AMS also considered allowing awnings or overhangs which extend from
poultry houses to count as outdoor areas. However, the distinction
between an awning versus a porch could be confusing and present
enforcement challenges. Given the controversy with the use of porches,
AMS intends that the regulations clearly prohibit porches or a similar
structure from being used as outdoor space. Implementation period. AMS
also considered different implementation periods of three, five and ten
years for the outdoor access and outdoor stocking density requirements
for poultry in this proposed rule. In determining the length of an
implementation period, we considered cost mitigation and the urgency of
consumer expectations. For cost mitigation, we reviewed the
depreciation rate and timeframe for layer houses. The NAHMS 2013 Layers
study collected the age of houses on organic operations with layers:
Nearly 40 percent were nine years old or less. AMS determined that the
weighted average age of aviary houses is 7.6 years by using the
midpoint of each survey bracket (i.e., less than 5 years; 5-9 years;
10-19 years) and the percent of operations in that bracket.\42\ The
OEFA survey reported that the average depreciation rate for layer
houses among respondents was 12.5 years.\43\ The difference between the
depreciation rate (12.5 years) and average age of organic aviary layer
houses (7.6 years) is roughly 5 years. Therefore, a 5-year
implementation period would allow organic egg producers, on average, to
recover the costs of a poultry house. At that point, structural changes
necessitated by this rule would align with scheduled maintenance or new
construction.
---------------------------------------------------------------------------
\42\ AMS understands there was 39 percent increase in the number
of organic layers between 2013 and 2015 (3.2 million additional
organic layers), the highest increase since this information was
collected starting in 2007. While we expect that additional aviary
houses may have been constructed to house the increase in the number
of layers, we did not factor that into the average age estimate. If
new organic aviary houses began operation in 2013-2015, this would
lower the average age of organic aviaries.
\43\ The OEFA survey asked, ``What is the depreciation rate (as
reported on Federal tax Schedule F forms) of your poultry houses in
years?''
---------------------------------------------------------------------------
While we expect that organic egg producers will bear a greater cost
burden for this proposed rule, this implementation period should also
align with upgrades or new construction for broiler houses. We note
that 15 percent of broiler houses generally are 5 years old or less and
have a depreciation rate of 15 years.\44\ While organic broiler houses
are likely to be newer on average, given that the NOP was not
established until 2002, we anticipate that the majority of organic
broiler houses would be nearing the end of useful life when this rule
is implemented.
---------------------------------------------------------------------------
\44\ This reflects the percentage of broiler houses in the U.S.,
not specific to organic operations that were 15 years old or less in
2006. We applied that proportion to this analysis because the
population of broilers has grown since that time, so houses that
were older than 15 years are likely to have been upgraded or
renovated in the interim. This data was reported in MacDonald, James
M. The Economic Organization of U.S. Broiler Production. Economic
Information Bulletin No. 38. Economic Research Service, U.S. Dept.
of Agriculture, June 2008. The depreciation rate was reported in the
Organic Egg Farmers of America Survey conducted in July 2014 and
cited above.
---------------------------------------------------------------------------
AMS also considered a three 3-year implementation period. This
timeframe would align with the 3-year period that is required to
transition land to organic production if there have been applications
of prohibited substances (Sec. 205.202(b)).\45\ We believe that three
years would not provide sufficient time for producers who need to
expand the outdoor access areas to acquire additional land and
potentially convert that land to organic production. We estimate that
45 percent of organic egg production may need additional land to meet
the outdoor access requirements. This short timeframe would impose an
unduly immediate cost burden and deter producers from exploring options
to remain in organic egg production, potentially causing a sharp
reduction in the supply of organic eggs.
---------------------------------------------------------------------------
\45\ Section 205.202(b) of the USDA organic regulations requires
that land from which harvested crops will be represented as organic
must have had no prohibited substances, as listed in Sec. 205.105,
applied to it for a period of 3 years immediately preceding harvest
of the crop. Further, organic livestock are required to have
organically produced feed (Sec. 205.237(a)).
---------------------------------------------------------------------------
Conversely, a 10-year implementation period could erode consumer
demand for organic eggs if the organic label requirements do not keep
pace with growing consumer preferences for more stringent outdoor
living conditions. Prolonging the disparity in organic egg production
practices and the resulting consumer confusion would be detrimental to
the numerous organic egg producers who could readily comply with this
proposed rule. They would continue to operate at a competitive
disadvantage to operations which provide less outdoor access and have
greater feed efficiencies and lower mortality rates.
A 5-year implementation period would make these requirements more
feasible for a greater portion of organic egg producers while keeping
the organic label competitive in regards to animal welfare claims. We
believe the 5-year period would coincide with the timing for
retrofitting poultry houses in the majority of organic operations,
regardless of this rule.
AMS is requesting comment on the above assumption. Specifically,
AMS requests comments on:
The age of poultry houses used for organic egg production.
Consumer and Producer Responses as Drivers of Benefits and Costs
Connections between costs and benefits, on the one hand, and
potential producer and consumer responses, on the other, are set out in
the table below.
[[Page 21987]]
------------------------------------------------------------------------
Consumer, producer responses Impacts
------------------------------------------------------------------------
Producers change their practices Costs: Incremental cost of producing
to meet the new, more stringent to new, more stringent organic
organic standards; consumers standards, relative to existing
continue consuming organic organic standards.
agriculture products. Benefits: Incremental credence
benefits of consuming products
produced according to new, more
stringent organic standards,
relative to existing organic
standards.*
Producers discontinue (or avoid Cost savings: Incremental savings of
newly achieving) organic producing with non-organic
certification; consumers switch practices, relative to existing
from products meeting existing organic standards
organic standards to non-organic Benefits (reduced): Incremental
versions of similar products. credence benefits of consuming
products produced according to non-
organic practices, relative to
existing organic standards.*
Producers discontinue (or avoid Impacts (may be positive or
newly achieving) organic negative): Incremental production
certification; consumers switch costs, incremental credence
to dissimilar products. benefits, incremental non-credence
attributes.
------------------------------------------------------------------------
* The price premium that consumers are willing to pay for certified
organic products correspond to benefits, as that term is used for
purposes of analysis under Executive Orders 12866 and 13563, only if
organic production practices yield real improvements in areas such as
animal welfare, human health or environmental outcomes.
Benefits of the Proposed Rule
This proposed rule would bring specificity and clarity to the
regulations relating to animal welfare practices for organic livestock
and poultry and address the persistent requests to AMS for further
standards on living conditions for organic livestock and poultry.
Greater clarity and specificity will foster the uniform application of
the practice standards in organic production, animal transport, and
slaughter. This, in turn, will maintain consumer confidence driving
organic purchases. Organic products cannot be distinguished from non-
organic products based on appearance; consumers rely on process
verification methods, such as certification to a uniform standard, to
ensure that organic claims are true. For this reason, organic products
have been described as ``credence goods'' in the economics
literature.46 47 Credence goods have properties that are
difficult to detect, both before and after purchase. Organic livestock
products are an example of a ``credence good'' for which consistent
verification to a common production standard across the sector supports
continued consumer confidence. Ensuring the stability of consumer
confidence in the organic livestock sector can also protect the
confidence in the organic label generally.
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\46\ Caswell, Julie A. and Eliza M. Mojduszka. 1996. ``Using
Informational Labeling to Influence the Market for Quality in Food
Products.'' American Journal of Agricultural Economics. Vol. 78, No.
5: 1248-1253.
\47\ Zorn, Alexander, Christian Lippert, and Stephan Dabbert.
2009. ``Economic Concepts of Organic Certification.'' Deliverable 5
for Project CERTCOST: Economic Analysis of Certification Systems in
Organic Food and Farming. https://www.certcost.org/Lib/CERTCOST/Deliverable/D11_D5.pdf.
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Consumers are increasingly interested in the treatment of animals
raised for food, as evidenced by the proliferation of animal welfare
certification labeling claims. This proposed rule would ensure that
organic producers are equally competitive in this market and would
alleviate the need to pursue additional certification to communicate
the use of strict animal welfare practices to consumers. The existing
animal welfare certification programs have varying requirements, even
within individual programs, creating a range of standards in the
marketplace.\48\ For example, these programs may include standards for
pastured, cage-free and free-range production. However, high
participation rates among organic livestock and poultry producers in
these third-party animal welfare certification programs indicates that
the organic label does not provide the level of information consumers
need to assess whether a specific brand meets their expectations for
animal welfare practices. We expect that private animal welfare
certification labels on organic products serve as supplementary
information that provides consumers with assurance of certain product
attributes, such as minimum space requirements, which are not
guaranteed through organic certification. Consumers who purchase these
doubly certified products would likely not be satisfied with private
animal welfare certification alone because organic certification
addresses other unique attributes they seek, e.g., animals receive only
organic feed.
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\48\ The Humane Farm Animal Care program has compiled a table
comparing the requirements of selected third-party animal welfare
certification programs for laying hens. This includes stocking
density and outdoor standards. The comparison table is available at:
https://certifiedhumane.org/how-we-work/fact-sheet/.
---------------------------------------------------------------------------
Establishing clear practice standards for organic products which
meet or exceed most of the private animal welfare certification
requirements would foster a more efficient market for organic products.
Narrowing the range of acceptable practices within organic egg
production would bolster consumer confidence in the information
conveyed by an organic label claim on these products. As the
requirements in this proposed rule would meet or exceed most of the
private animal welfare certification standards, we expect that
producers would find organic certification sufficient and reduce
participation in other certification programs. This would streamline
the business practices of organic livestock producers by reducing
redundant and duplicative paperwork and verification processes for
organic certification and a separate animal welfare certification.
Several studies show a correlation between consumer preferences/
demand for products associated with higher animal welfare standards and
higher price premiums. We believe these studies may be applicable in
predicting consumer behavior in the organic egg market, particularly
for consumers who regularly purchase organic eggs. Sustained consumer
demand for organic eggs could mitigate some costs associated with this
rulemaking and incentivize producers to comply with this proposed rule
and remain in the organic market.
A study by Heng (2015) examined whether consumers are willing to
pay a premium for livestock products associated with improved animal
welfare.\49\ The results identified the basic living needs of hens
(including providing outdoor access) as the most important factors for
their welfare. The estimates also indicated that on average consumers
placed a higher value on animal welfare issues than on potential
environmental issues in their egg choices. In addition, the estimated
Willingness to Pay (WTP) parameters suggested that consumers were
willing to pay a premium in the range of $0.21
[[Page 21988]]
to $0.49 per dozen. Such premiums could serve as an incentive for
farmers to pursue a labeling claim that signifies improved animal
welfare practices.
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\49\ Yan Heng, ``Three Essays on Differentiated Products and
Heterogeneous Consumer Preferences: The Case of Table Eggs'' (Ph.D.
diss., Kansas State University, 2015).
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Another study by Heng et al., (2013) estimated the values of
certain attributes of eggs, including outdoor access and stocking
density.50 51 This study included a survey to assess general
perceptions of animal welfare. Respondents with favorable perceptions
of pro-animal welfare products rated cage-free and outdoor access as
more important factors affecting egg quality than adjusting stocking
density or not inducing molting.\52\ WTP parameters revealed that 89
percent of respondents in one cohort were willing to pay a premium of
$0.25 per dozen for eggs from hens given outdoor access; 11% of those
respondents were not willing to pay a premium for outdoor access.\53\
These findings support AMS' decision to essentially keep indoor
stocking rates consistent with current practices and focus on parity
among organic egg producers for meaningful outdoor access. We believe
that organic consumers generally have high regard for animal welfare-
friendly products. Therefore, we expect that focus on parity will
resonate positively with consumer preferences for definitive outdoor
access practices for organic layers. Further, it will be associated
with a willingness to pay a premium for more consistency and
transparency in how this practice is implemented.
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\50\ Yan Heng, et al., (2013). Consumer Attitudes toward Farm-
Animal Welfare: The Case of Laying Hens. Journal of Agricultural and
Resource Economics 38(3):418-434.
\51\ The study used 2 levels for outdoor access: Access or none.
The study used three levels for stocking density: 67 square inches
per bird (United Egg Producers standards); 138 square inches
(average space needed for hens to fully stretch their wings) and 1.5
square feet (third-party animal welfare standards, e.g., Certified
Humane and Animal Welfare Approved).
\52\ Respondents were asked whether they agreed that food
products produced in an animal-friendly environment are: From
healthier and happier farm animals, healthier for humans, better
quality, better for the environment, and taste better.
\53\ Respondents in this study were provided with additional
information about potential environmental consequences of different
management practices to understand how environmental concerns could
influence consumers' valuation of layer management practices. The
additional information suggested that cage-free and outdoor access
systems could contribute to poorer air quality and use more energy
to regulate temperatures. The $0.25 premium was measured among the
group that had the environmental information. We believe this group
is more descriptive of organic consumers generally because their
purchases are driven by some awareness of production practices
underlying the organic claim. The mean premium among respondents
without that information was $0.16 for hens given outdoor access.
Because the willingness-to-pay distributions for more outdoor access
and space shifted positively with the additional information on
potential environmental impacts of different housing systems, the
study noted that consumer concerns for animal welfare issues
surmount environmental concerns.
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Sumner et al., (2011) looked at the potential market impacts of
shifting egg production from caged housing to alternative noncage
systems.\54\ The authors note that the analysis could be extended to
other alternatives such as free-range and pasture-based production.
While not focusing on organic eggs, these results are illustrative of
the impacts of mandated housing changes on supply and demand for
eggs.\55\ The research concludes that farm price increases of 40
percent for eggs would likely reduce consumption by less than 10
percent. The authors note that in the U.S., egg consumption is
relatively unresponsive to price change and egg expenditures are a very
small share of the consumer budget. Based on other research, the study
surmised that consumers are willing to pay more for animal welfare-
related attributes (e.g., ample space per hen, safe outdoor access)
when they have more information about the housing systems. These
results support the expectation for consumer willingness to pay for
eggs perceived to be produced using alternative housing. We believe
that the space and outdoor access requirements in this proposed rule
would enable consumers to better differentiate the animal welfare
attributes of organic eggs and maintain demand for these products.
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\54\ D.A. Sumner, et al., ``Economic and Market Issues on the
Sustainability of Egg Production in the United States: Analysis of
Alternative Production Systems'' (Paper presented as part of the
Poultry Science Association Emerging Issues: Social Sustainability
of Egg Production Symposium, Denver, Colorado, July 11-15, 2010).
\55\ Specifically, this study looks at four parameters: Price
elasticity of demand; willingness to pay for price increases for
eggs produced under alternative housing systems; price elasticity of
supply; and, change in the marginal per unit cost of production due
to shifting to an alternative housing.
---------------------------------------------------------------------------
Chang et al., (2010) examined prices for eggs with various labels
about production (e.g., cage-free, free-range, organic) to assess how
consumers value certain product attributes.\56\ This study noted that
price premiums for cage-free and free-range eggs are 56.7 percent and
87.5 percent higher, respectively, than conventional egg prices (the
price premium for organic over conventional was 85 percent). Free-range
eggs are distinguished from cage-free, for the purposes of this study,
by the provision of outdoor access for the laying hens in free-range
systems.\57\ This data demonstrates that consumers value living
conditions that reflect improved animal welfare for hens, even more so
when the birds are able to go outdoors. Using predicted prices, this
study further estimates what portion of the price premium can be
attributed to egg color versus production practice. The study found
that 58 percent and 64 percent of the price premium is attributed to
production practice rather than egg color for cage-free and organic
eggs, respectively. Consumers of organic eggs appear willing to pay
higher premiums for production practices than consumers of other types
of eggs. We believe these findings could be persuasive in an organic
egg producer's decision to comply with this proposed rule in order to
remain in the organic market.
---------------------------------------------------------------------------
\56\ Chang, Jae Bong, et al., (2010). The Price of Happy Hens: A
Hedonic Analysis of Retail Egg Prices. Journal of Agricultural and
Resource Economics 35(3):406-423.
\57\ The study notes that organic production requires that hens
be given outdoor access and concludes that free-range can be
synonymous with organic.
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In addition, informal national surveys reveal consumer expectations
that organic eggs are produced from hens with outdoor access. A 2014
Consumer Reports Labeling Survey noted that 55 percent of consumers
believe that the organic label on meat and poultry means that the
animals went outdoors.\58\ Further, the survey measured that 72 percent
of consumers believe the organic label should mean that the animals
went outdoors. A second survey, designed by the American Society for
the Prevention of Cruelty to Animals, showed that 63 percent of
respondents believe that organic livestock have access to pasture and
fresh air throughout the day and 60 percent believe that organic
livestock have significantly more space to move than non-organic
animals.\59\ This proposed rule would align consumer expectations and
the production practices required to make an organic label claim
regarding animal welfare for poultry.
---------------------------------------------------------------------------
\58\ Consumer Reports National Research Center, Food Labels
Survey, 2014. Nationally representative phone survey of 1,004 adult
U.S. residents.
\59\ This phone survey was administered to 1,009 adults in
October 2013.
---------------------------------------------------------------------------
We expect that clear, consistent requirements for avian living
conditions can sustain consumer demand and support the growth in the
market for organic poultry products. Several articles describe a
positive association between the establishment of uniform regulation of
product labels and consumer confidence. Van Loo, et al, (2011) asserts
that uniform organic standards and certification procedures are
essential to maintain consumer trust
[[Page 21989]]
in the validity of organic labels and willingness to pay for such
products.\60\ They found that the magnitude of consumers' willingness-
to-pay for organic chicken breast depended on the type of organic
label: A 35 percent premium for general organic labeled chicken breast
versus a 104 percent premium for a chicken breast labeled as USDA
certified organic. Smith (2009), states that governmental regulatory
oversight of credence-type claims, such as ``organic,'' can facilitate
the availability of improved information on food quality, deter
irresponsible practices and provide a mechanism to prosecute
violations.\61\ Smith also observes that governmental standards can
address the market failure connected to uncertainty about product
quality and prevent consumer deception and fraud. The prevalent
participation among organic poultry producers in private animal welfare
certification programs demonstrates that the organic certification does
not provide the quality assurances that consumers expect for animal
welfare attributes. Adding specificity to the USDA organic regulations
for poultry living conditions would fill that void and add stability to
a market sector that has widely varying production characteristics.
---------------------------------------------------------------------------
\60\ Van Loo, Ellen J., Caputo, Vincenzina, Nayga Jr., Rodolfo
M. (2011). Consumers' willingness to pay for organic chicken breast:
Evidence from choice experiment. Food Quality and Preference,
22(2011), 603-613.
\61\ Smith, G. (2009). ''Interaction of Public and Private
Standards in the Food Chain'', OECD Food, Agriculture and Fisheries
Working Papers, No. 15, OECD Publishing. Retrieved from https://search.proquest.com/docview/189840535?accountid=26357.
---------------------------------------------------------------------------
In accordance with OMB Circular A-4, the benefits of this proposed
rule are the real improvements in attributes (e.g., animal welfare) for
organic poultry products. Several recent consumer surveys gauge
consumer understanding of the meaning of the organic label with respect
to outdoor access. These surveys show that a higher proportion of
respondents believe that organic poultry should have outdoor access
than the percent which believe that organic poultry do have outdoor
access.
To monetize the benefits, AMS is using previous research that has
measured that consumers are willing to pay between $0.21 and $0.49 per
dozen eggs for outdoor access.\62\ AMS estimates the benefits by
muliplying the low ($0.21), mid ($0.35) and high ($0.49) points of that
range by the projected number (in dozens) of organic eggs produced by
layers that are estimated to newly have outdoor access as a result of
this rule being implemented.\63\ The National Animal Health Monitoring
Survey (NAHMS) reports that 36 percent of organic egg operations
surveyed currently provide at least 2 square feet per bird (equivalent
to 2.25 lbs/ft\2\) of outdoor space and 35 percent of hens have outdoor
access via a porch system or covered area; we do not know what
percentage of total organic egg production this represents, so we
calculate benefits using a range from 35 percent at the lower bound to
64 percent (= 100%-36%) at the upper bound, and request comment on how
to refine this aspect of the analysis.\64\ AMS estimates that the
annual benefits would thus range between $14.7 million to $62.6 million
annually with a mean value of $34.6 million over a 13 year
period.65 66 The estimated benefits would not begin to
accrue until the rule is fully implemented beginning in year 6 (the
proposed implementation period is 5 years).
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\62\ Some quantity of organic egg production is diverted to
processed foods. Applying the outdoor access price premium for
table/shell eggs--which is captured in Table 2--to organic eggs used
in processed foods introduces some uncertainty into the benefits
analysis; therefore, we request comment on consumers' willingness-
to-pay for outdoor access for hens laying eggs used in organic
processed foods.
\63\ AMS projects that the number of organic eggs produced when
this rule is fully implemented will be 324,374,484 dozen. The
organic egg supply projections are discussed in the costs section
below.
\64\ For the estimated costs, we assume that 45% of organic
layers do not comply with the proposed outdoor access requirements
and will newly have outdoor access under the proposed requirements.
This is consistent with the estimated range of organic poultry
production that would newly have access to the outdoors, which is
used to calculate benefits.
\65\ The 13 year period accounts for the time needed to fully
depreciate layer houses. We use a 13 year timeframe to align with
the methodology used to calculate the costs, below. The 13-year
average includes five years of zero benefits, reflecting the five
years before compliance with the new, more stringent standard is
required, and eight years of positive benefits.
\66\ If there were a decrease in animal welfare associated with
producers switching from the baseline level (considered organic
under the current standard) to the level provided under the cage-
free standard, a necessary next step in the benefits calculation
would be subtraction of the monetized decline in welfare. However,
given AMS's understanding of management practices, the agency
believes that there would be no such decline in animal welfare
associated with switching label claims from organic to cage-free.
---------------------------------------------------------------------------
Costs of Proposed Rule
AMS considered various alternatives for the stocking density and
outdoor space provisions for organic egg production. AMS also
considered how these producers might respond to the proposed stocking
densities and outdoor access requirements and how this would impact the
supply and demand for organic eggs. AMS did not quantify costs
associated with some of the alternatives discussed above (e.g.,
requiring the outdoor areas to accommodate a certain percent of the
flock, whether or not porches can be considered outdoor space), but we
discuss the potential impacts of different choices with respect to
those options. We do not expect the mammalian health care and living
conditions sections, transportation, or slaughter provisions to impose
additional costs, as we expect that these sections will largely codify
existing industry practices. Therefore, we do not project costs for the
implementation of those provisions. However, AMS is requesting comments
on any impacts of those proposed requirements to check that assertion.
Assumptions--Layers
To estimate the costs to comply with minimum indoor and outdoor
space requirements for organic layers, AMS made assumptions about the
current facilities and practices for organic egg production. AMS is
proposing indoor stocking requirements that align with the current
practices in organic egg production. Table 5 provides the proposed
indoor stocking rates by housing type. AMS is aware that many organic
egg producers participate in third-party animal welfare certification
programs, in particular, the Certified Humane label program.\67\ The
proposed indoor stocking rates for layers match the standards for the
Certified Humane certification program which has ample organic producer
participation across various operation sizes and housing types.
Therefore, we believe that most organic egg producers could comply with
the proposed indoor stocking rates with minor or no changes to their
current operation.
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\67\ The Organic Egg Farmers of America (OEFA) survey reported
that 87 percent of organic egg production is also certified to
private animal welfare standards. The survey results do not indicate
which animal welfare certification programs organic egg producers
participate in, but AMS is aware that the Certified Humane label is
a common choice.
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The Humane Farm Animal Care standards \68\ for egg laying hens
specify minimum indoor and outdoor space requirements for four types of
housing systems: Pasture-based (where birds have unlimited access to
pasture and
[[Page 21990]]
low outdoor stocking density, approximately 40 ft[hairsp]\2\ per bird);
loose-housing systems, which include floor litter and slatted/mesh
floor systems (both single-story houses) and aviaries (multi-level
platforms and perches). AMS also estimated the distribution of organic
production among the housing types as shown in Table 5.
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\68\ Producers who meet the Humane Farm Animal Care (HFAC)
standards, as verified through an application and inspection, may
use the Certified Humane Raised and Handled logo. Participants are
inspected and monitored by Humane Farm Animal Care. The minimum
indoor and outdoor space requirements cited here are published in
the 2014 HFAC Standards for Production of Egg Laying Hens. They are
available at: https://certifiedhumane.org/how-we-work/our-standards/.
Accessed July 7, 2015.
Table 5--U.S. Organic Layers by Housing Type
------------------------------------------------------------------------
Baseline
minimum indoor Percent of
Housing system space U.S. organic
(ft[hairsp]\2\ laying flock
per bird)
------------------------------------------------------------------------
Pasture housing......................... 1.0 10
Floor litter housing.................... 1.5 10
Slatted/mesh floor housing.............. 1.2 30
Aviary housing.......................... 1.0 50
------------------------------------------------------------------------
In this analysis, the outdoor space is the key constraint that
drives the costs of complying with the proposed rule; we are proposing
an outdoor stocking density of a maximum of 2.25 pounds/ft\2\ for
layers. Many organic poultry producers currently provide an outdoor
stocking density of 2.25 pounds/ft\2\ for layers. For these producers
the proposed maximum outdoor stocking density will not pose additional
costs. AMS assumes that layer operations have the equivalent of two
layer house footprints of outdoor space available for each house. We
considered that the land available for outdoor access could be the
areas between and alongside of the houses and extending from the ends
of the houses. For this analysis, we assumed that pasture housing,
floor litter housing and slatted/mesh floor housing systems
collectively account for 50 percent of organic egg production and
either currently comply with the outdoor space requirements or have the
land available to comply with the proposed outdoor stocking rate
without significant changes to the number of birds or facilities. AMS
is not assuming that all of these operations currently provide outdoor
access for layers at the proposed stocking density, but that they have
the space available to do so. Therefore, these operations could incur
costs for fencing, installing more exits, and other measures to make
the area usable as outdoor space.
In addition to the above assumptions, a few producer survey results
are notable. The National Animal Health Monitoring Survey (NAHMS)
reports that 36 percent of organic egg operations surveyed provide at
least 2 square feet per bird (equivalent to 2.25 lbs/ft\2\) of outdoor
space and 35 percent of hens have outdoor access via a porch system or
covered area. We do not know what percentage of total organic egg
production this represents. The EIC survey reports that 15.5 percent of
all organic layers have at least 2.0 ft\2\ outdoors and access to soil;
the OEFA survey, reports that 59 percent of organic layers reportedly
have at least 2.0 ft\2\ outdoors.
In this analysis, AMS postulates that a producer will consider two
options in response to this proposed rule: (1) Comply with the proposed
rule and remain in the organic egg market; or (2) transition to the
cage-free egg market. Using those potential responses, AMS constructed
two scenarios to project how the organic egg sector would behave and
estimated the costs for each scenario. This section explains the
assumptions and variables used to build our estimates.
AMS constructed enterprise budgets for representative organic egg
operations by housing type (i.e., pasture housing, slatted floor/mesh,
floor litter housing, aviary housing).\69\ For each representative
operation, we identified a baseline cost structure which included
estimated fixed and variable costs to determine the cost to produce one
dozen eggs. We then made assumptions about how and if these values
would change under the proposed rule. The fixed and variable costs are
listed in Table 6.
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\69\ This analysis mirrors the cost estimation methodology used
by Vukina, et al., to prepare a cost analysis for the National
Organic Program on implementing the National Organic Standards Board
recommendations on stocking densities and outdoor access for organic
poultry. Vukina et al., developed the baseline cost structure by
interviewing organic layer and broiler producers and using existing
literature. We have used most of their assumed values for fixed and
variable costs in this analysis. The results of that analysis were
reported in the following articles: Tomislav Vukina, et al.,
``Economic effects of proposed changes in living conditions for
laying hens under the National Organic Program,'' Journal of Applied
Poultry Research 23 (1) (March 2014): 80-93. Accessed February 5,
2016. doi:10.3382/japr.2013-00834. Also, Tomislav Vukina, et al.,
``Proposed changes in living conditions for broilers under the
National Organic Program will have limited economic effects,''
Journal of Applied Poultry Research 23 (2) (June 2014): 233-243.
Accessed February 5, 2016. doi:10.3382/japr.2013-00896.
Table 6--Fixed and Variable Costs for Enterprise Budget
------------------------------------------------------------------------
-------------------------------------------------------------------------
Fixed costs:
House
Composter
Equipment--total
Cooler
Generator
Outdoor space (Veranda, land, plus fencing and cover)
Organic Certification
Insurance (0.5% of the value of the assets)
Property tax (0.8% of the value of the assets)
Variable costs:
Pullets
Feed
Wood Chips
Utilities
Labor
Process and Packaging Fee
Manure cleanout
Miscellaneous
------------------------------------------------------------------------
To complete the cost estimates for complying with the proposed
rule, AMS employed the following basic assumptions and values:
[ssquf] Simple linear (straight line) depreciation of assets with
zero salvage value.
[ssquf] Annual opportunity cost of capital of 3 percent.
[ssquf] Homogenous labor hired at $13.25 per hour.\70\
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\70\ Labor costs were estimated using data obtained on hourly
wages for farming, fishing, and forestry occupations published by
the Bureau of Labor Statistics for states with high concentrations
of organic broiler and egg production. We calculated an average
hourly wage rate using wage rates from eight states--California,
Iowa, Massachusetts, Michigan, New York, North Carolina, Oregon, and
Pennsylvania--resulting in an average hourly wage rate of $13.25.
Organic certification costs were calculated as the average of
California Certified Organic Farmers (CCOF) and Iowa Organic
Certification Program posted fees for each organic production sales
range category.
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[ssquf] Price variability for inputs, e.g., feed, pullets,
according to the size of the flock.\71\
---------------------------------------------------------------------------
\71\ AMS used the following estimates for birds placed per cycle
to calculate costs for the representative operation for each housing
type: Aviaries--100,000 birds; slatted/mesh floor and floor litter--
16,000 birds; pastured--15,000 or less.
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[[Page 21991]]
[ssquf] Feed costs per ton of $574 ($710 for pasture operations).
[ssquf] Lay rate (eggs/hen/year) of 308 (284 for pasture
operations).
[ssquf] Feed conversion rate of 4.0 pounds per dozen.\72\
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\72\ AMS estimates increased feed costs per bird due to
increased energy expenditure outdoors. We project the feed
conversion rate will move from the baseline 3.8 pounds per dozen to
4.0 pounds per dozen.
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[ssquf] Operations can purchase additional land if needed.
[ssquf] Annual rental rate per acre of land of $177.\73\
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\73\ Prices for land were constructed based on average real
estate values for farm land per acre in 2014 (National Agricultural
Statistics Service [NASS], 2014). Land prices were calculated as the
average of the published land prices in the top five states for
organic egg production. The prices for land in New York,
Massachusetts, Michigan, North Carolina, and California were
averaged to obtain a land price of $5,884 per acre. The annual
rental rate was obtained by multiplying the value of land with the 3
percent interest rate, resulting in an annual rate of $177 per acre.
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[ssquf] Building costs of $70 per hen.\74\
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\74\ This includes poultry houses, pullet housing, processing
equipment and infrastructure improvement, but does not include costs
to construct a new feed mill. These costs are based on information
from organic egg producers for existing housing costs.
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AMS assumed that the mortality rate for hens would increase to 8
percent from 5 percent if this proposed rule is finalized.\75\ The
increased mortality would chiefly be attributed to increased predation,
disease and parasites from greater outdoor access. Many organic
producers already provide outdoor access that would comply with this
proposed rule and would not see changes in mortality.
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\75\ The National Animal Health Monitoring Survey Layers 2013,
reports that about half of organic egg producers have a 60-week
mortality of less than 4 percent. About 20 percent of organic egg
producers have a 60-week mortality of 7 percent or higher. For the
10 percent of operations (pastured) which we expect already comply
with the proposed requirements, AMS uses an estimated baseline
mortality rate of 10 percent. We do not expect that the proposed
requirements would affect that rate for these types of operations
that currently provide ample outdoor access.
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The proposed changes to the avian living conditions, particularly
outdoor access, reflect the input of numerous stakeholders, including
producers and consumers, on production practices that would improve the
overall quality of life for birds. The NOSB also recognized mortality
rates as a key indicator of animal welfare and important to the
economic viability of an operation. In addition, the NOSB has discussed
specific practices to prevent and manage predation and disease in a
production environment where outdoor access is an integral part. These
include predator deterrents (electrified fencing, overhead netting),
rotation of land, well-drained soil, lower stocking density, and
selection of breeds that are suited to free range conditions.\76\ While
the tradeoff between a higher mortality rate for greater outdoor access
generally reflects the preferences of the organic community, organic
producers will be required to use practices to effectively minimize
mortality and correct excessive and preventable loss.
---------------------------------------------------------------------------
\76\ At its September 2012 meeting, the NOSB discussed a
guidance document for assessing animal welfare of poultry. This
included a description of management practices that support animal
welfare and a target mortality rate of 3 to 5 percent.
---------------------------------------------------------------------------
The key factors that influence the enterprise budgets--and
magnitude of the impacts to operations--are feed conversion rates,
production volume and cost of land. Under the proposed rule, feed is
the variable cost that would shift most notably. The cost of feed would
increase due to lower feed conversion as birds expend more energy
outdoors.\77\ Lower feed conversion plus higher mortality would
ultimately reduce production volume, relative to the baseline with the
same number of birds.
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\77\ In the enterprise budget, some of the variable costs
(labor, processing and packaging fee) would decline slightly under
the proposed rule.
---------------------------------------------------------------------------
In regards to land, AMS assumes that single-story housing systems
(pasture, floor litter and slatted/mesh floor housing), have the land
area to meet the outdoor stocking density for their current production.
Aviary operations would require a larger land area for outdoor access
than other housing types because these are multi-level structures that
hold more birds than single-story poultry houses. We assume that
aviaries have an indoor space roughly three times larger than the
footprint of the barn. Therefore, aviary houses would on average
require the equivalent of six house footprints of outdoor space to meet
the minimum outdoor space requirement.\78\ Therefore, AMS assumes that
aviaries have the land base to accommodate 33 percent of current
production at the proposed outdoor stocking rates and would need to
acquire additional land. AMS calculates that an aviary operation would
need an additional 3 acres of land per 100,000 birds.
---------------------------------------------------------------------------
\78\ Aviaries generally have two to four levels; for this
analysis we chose the midpoint--three levels. Aviaries, while more
prevalent in larger scale egg operations, are also used for small
and mid-size egg laying operations.
---------------------------------------------------------------------------
In summary, the marginal cost to produce one dozen eggs would
increase under the proposed rule for each type of housing system except
pasture. For floor litter and slatted/mesh floor housing, AMS estimates
the marginal costs to produce one dozen eggs would increase by 2.8%;
for aviary systems those marginal costs would increase by 3.3%. The
section below discusses how these costs to individual operations will
impact the organic egg sector.
AMS is seeking comment on the accuracy of the estimates concerning
the available land base for outdoor access and the other assumptions
made in the cost analysis. Is the two house footprints of outdoor space
per layer house a valid baseline assumption? How many aviaries, and
what proportion of organic egg production, have available outdoor space
to comply with the proposed outdoor stocking density?
Assumptions--Broilers
This proposed rule contains indoor and outdoor space requirements
specific to broiler and other meat-type avian species. Similar to
organic egg production, AMS expects that the space requirements for
broilers are the provisions that would have cost implications. This
proposed rule, consistent with the NOSB recommendation, would set a
maximum of 5.0 lbs/ft\2\ for indoor and outdoor stocking density for
broilers. According to the OEFA survey, 100 percent of responding
broiler operations participate in private, third-party animal welfare
certification. In order to estimate the potential costs to comply with
the stocking density, AMS made the following key assumptions:
AMS expects that 75 percent of organic broiler production
complies with the proposed stocking densities.\79\ We assume that 25
percent of organic broiler production meets a maximum of 6.5 lbs/ft\2\,
for the indoor stocking density. That metric is based on third-party
animal welfare certification programs which have high participation
rates among organic operations.\80\ For
[[Page 21992]]
this analysis, we use 5.37 lbs/sq ft, indoors and outdoors, to
represent the baseline stocking density for organic broilers generally.
This is the weighted average of the range of current practices based on
the assumptions described above.
---------------------------------------------------------------------------
\79\ The OEFA survey, representing 62 percent of organic
broilers, asked organic poultry producers whether they could comply
with a 2.0 ft\2\/bird outdoor stocking density. According to the
survey, 75 percent of organic broilers production could not meet
that stocking density. However, this proposed rule would set the
stocking density at 5.0 lbs/ft\2\. Given that the average live
weight for organic chicken is 5.84 lbs, the survey effectively asked
whether broilers could comply with a 2.9 lbs/ft\2\ stocking density.
Since that is significantly more stringent than the proposed
stocking density, we expect that the percent of organic broiler
production which could comply is considerably higher. Further, in
the Economic Impact Analysis of Proposed Regulations for Living
Conditions of Organic Poultry, Vukina et al., concluded that the
representative organic broiler operation provided a 4.275 lbs/ft\2\
and could meet the 5.0 lbs/ft\2\ indoor stocking density.
\80\ The 6.5 lbs/ft\2\ is the midpoint indoor stocking density
between the Humane Farm Animal Care standards for broilers (maximum
6.0 lbs/sq\2\) and the American Humane Association standards for
broilers (maximum 7.0 lbs/sq\2\).
---------------------------------------------------------------------------
Operations which can meet the proposed indoor stocking
density can also meet the outdoor stocking density. We expect that the
land area around a broiler house is equivalent to the footprint of two
broiler houses. Since broilers are not housed in multi-level aviaries
like laying hens, the outdoor space could accommodate the same number
of birds at the indoor stocking density.\81\
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\81\ Vukina et al., also assumed for their analysis that the
representative broiler producer is in a position to buy or lease one
acre of additional land to expand outdoor access and meet the
proposed stocking density.
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The current, annual organic broiler production is roughly
16 million birds and the average live weight of organic broilers at
slaughter is 5.84 pounds.\82\
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\82\ The AMS Livestock, Poultry and Grain Market News Report,
Weekly USDA Certified Organic Poultry and Eggs, is available at:
https://www.ams.usda.gov/market-news/organic-market-news-reports. AMS
Market News reported that 16 million organic broiler chickens were
slaughtered under Federal Inspection in 2014.
---------------------------------------------------------------------------
An organic broiler house will have 6 production cycles per
year; each cycle is 6-8 weeks long.\83\
---------------------------------------------------------------------------
\83\ A 6 week production cycle is more common.
---------------------------------------------------------------------------
In addition, we applied the same assumptions for layers,
specifically mortality rates, depreciation of assets, property tax,
labor, insurance, etc., to the cost estimates for broilers.
Cost Estimate for Organic Egg and Poultry Production
AMS assumes that in response to this proposed rule, affected
producers will make operational changes to comply with the proposed
rule and continue organic egg and poultry production. The projected net
returns shown in Table 7 support this projection; under the proposed
rule the net returns for organic eggs will exceed the net returns of
selling to the cage-free market. Table 7 shows the difference in net
returns per 100,000 dozen eggs for organic eggs under the current USDA
organic regulations and the proposed rule, and for cage-free eggs. The
net returns vary based on housing systems, i.e., aviary and single-
story houses.
---------------------------------------------------------------------------
\84\ The net return estimates use the following data values/
sources: (1) Wholesale value of organic eggs ($2.64/dozen) and
wholesale value of cage-free eggs ($1.65/dozen). These are the
values reported to AMS Market News for Free on Board organic and
cage-free eggs in June 2015. (2) We assumed that 20% of the eggs
would go the breaker egg market priced at $1.00/dozen. This is the
price reported to AMS Market News in 2015.
Table 7--Comparison of Net Returns by Label Claim \84\
------------------------------------------------------------------------
Net return
Label claim Net return ($)--Single-
($)--Aviaries story houses
------------------------------------------------------------------------
Certified Organic--Current Baseline..... 26,482 21,190
Certified Organic (as proposed)--....... 19,779 14,109
Cage-Free............................... 7,262 949
------------------------------------------------------------------------
\a\ All values in table are per 100,000 dozen eggs.
AMS assumes that producers would maintain their current level of
production (i.e., the same number of layers) and would seek additional
land to meet the proposed outdoor stocking density. The estimated total
costs for the organic egg sector are the sum of increased operating
expenses and reduced production. AMS is calculating the costs over a
13-year timeframe. AMS believes that during this period, existing
organic layer houses would fully depreciate. AMS understands that
producers may have other assets, such as land, feedmills, equipment,
which are integral to their organic operation and will not have fully
depreciated during the 13-year period. We have tied the costs to the
house because this investment requires the most capital.
The methodology just described reflects an assumption that costs
accrue only to legacy organic producers. As example for which this
assumption seems plausible, consider a producer with a fairly new
house, located in a spot without open land; such a producer would
likely choose to switch to cage-free eggs until the time when the house
gets close to needing replacement, and then might build the new house
at a location spacious enough to allow for organic production. The
costs (i.e., consumer and producer surplus losses of cage-free relative
to organic) associated with this type of case would decrease over time.
For this reason, the lower bound cost estimates presented below decline
linearly over time, with estimates approaching zero by year 14. On the
other hand, a cost category such as increased bird loss due to
predation is an inherent aspect of conformance to the proposed higher
organic standard; it will not decline to zero at any point in the
future. The upper bound cost estimates presented below, for which
estimates (other than the upfront land expenditure of $1.1 million) are
the same from one year to the next, reflect an assumption that this
type of cost is predominant.
There are no outdoor space costs for the first five years because
layer operations would not be required to make any changes to the
outdoor space during that time period.
As discussed above, the operating expenses for most organic egg
operations will increase chiefly due to higher feed costs, because of
decreased feed efficiency, and the purchase of additional land. There
may be added costs for maintenance of outdoor areas (e.g., fencing);
however we have not quantified these costs due to wide variability in
site-specific conditions. The one-time expenditure for the purchase of
additional land is projected to be about $1.1 million for the organic
egg sector.
The reduced volume of eggs going to the market due to higher
mortality and decreased lay rate and feed conversion, all associated
with more outdoor access, will also lower net returns. In Table 8, AMS
estimated how the proposed rule would affect total egg production while
holding the layer numbers constant for each housing type.
[[Page 21993]]
Table 8--Proposed Rule Impact on Organic Egg Production by Housing Type
------------------------------------------------------------------------
Difference in total egg
Housing type production after rule
(percent decrease) \a\
------------------------------------------------------------------------
Pasture.................................. No change.
Floor litter............................. 1.5
Slatted/mesh floor....................... 1.5
Aviary................................... 1.5
------------------------------------------------------------------------
\a\ AMS estimated how the proposed rule would affect total egg
production while holding the layer numbers constant for each housing
type.
For the organic egg sector, AMS estimates that the costs of this
proposed rule will average $6 to $17 million annually. The compliance
costs that would occur in year 1 if the entire industry had to comply
(and each other year, for the upper bound estimates) is $28.2M. For the
lower bound estimates, in each year, compliance costs decline by 1/13
until they reach zero in 2014. No costs are incurred during the first 5
years due to the 5 year implementation period for outdoor space
requirements. By year six, 5/13ths of the layer barns will have been
fully depreciated based on federal tax returns. Thus, the lower bound
compliance costs incurred are reduced by 5/13ths ($10.8 million) to
exclude all compliance costs from the barns which are fully depreciated
prior to implementation of the outdoor space requirements. Lower bound
costs reported are reduced by 1/13th each additional year until costs
reported would reach $0 in year 14.
For this analysis, AMS assumes that organic broiler producers would
also maintain their current facilities and reduce the number of birds,
if needed, in order to comply with the proposed stocking densities and
remain in the organic market. In this scenario, producers would incur
some increased expenditures, linked to increased feed costs and reduced
feed efficiency, and reduced production. In addition, AMS estimates
that the organic broiler flock (16 million birds) would be reduced by 7
percent, or 1.18 million birds to comply with the proposed indoor
stocking density. Estimated costs to producers in each of the years
after compliance with the rule is required will exceed the projected
annual average. For the lower bound, AMS is reducing the actual costs
(e.g., lost revenue) from lower production by 1/13th each year
throughout the 13-year period.\85\ In summary, the total costs AMS is
reporting for organic broiler production is estimated to average
between $3.4 and $6.8 million annually.
---------------------------------------------------------------------------
\85\ It is not standard practice to categorize lost revenue as a
cost in a society-wide cost-benefit analysis. Instead, costs should
be calculated as lost producer and consumer surplus (that is, the
difference between the amount consumers would be willing to pay for
the relevant consumption units and the marginal cost of producing
those units, summed across the units that are no longer traded in
the market). We request comment that would allow for revision of the
analysis along these lines.
---------------------------------------------------------------------------
The compliance cost would be in the first year (year 1) if the
entire industry had to comply. For the lower bound, costs are reduced
by 1/13 of that cost every year until they reach zero in year 14. No
costs are incurred during the first year due to the 1 year
implementation period for indoor access requirements. By the 2nd year,
costs reported are reduced by 1/13th ($563,000) to $6.8 million because
1/13th of the barns will have fully depreciated. Costs reported are
reduced by 1/13th each additional year until costs reported would reach
$0 in year 14.
In summary, the total reported costs for the organic egg and
poultry sector are estimated to average $9.5 to $24.1 million annually.
AMS estimates that the increased operating costs and lost revenue from
decreased production volumes would result in a 3.63 percent increase in
the break-even price for one dozen organic eggs ($2.31 to $2.39 per
dozen). AMS expects that some organic egg and broiler producers may
face additional costs for building new fences, providing shade in
outdoor areas, or creating more doors in poultry houses. We have not
quantified these costs due to the wide variability in baseline
conditions and potential changes based on the suitability to site-
specific conditions.
[[Page 21994]]
[GRAPHIC] [TIFF OMITTED] TP13AP16.000
Impact of Egg Operations Leaving Organic Production
Alternatively, some organic egg operations may consider leaving
organic production for the cage-free market. AMS estimates that up to
90 percent of organic aviaries may transition to cage-free egg
production due to marketing opportunities and challenges of complying
with the outdoor space requirements.\86\ Our assumptions about land
availability, described above, and the projected net returns for
organic eggs and cage-free eggs informed our prediction of how organic
producers may respond. We expect that 90 percent may overestimate that
proportion of egg production that might exit the organic market and
seek data to refine this estimate.\87\ The estimated 90 percent of
[[Page 21995]]
organic aviaries that do not have the land available would need to
reduce the number of birds to meet the proposed stocking density. That
reduced production volume would result in significant net loss and
would not be economically viable. Therefore, we project that this
production, which accounts for 45 percent of organic egg production,
would likely transition to the cage-free egg market. As shown in Table
7, these producers would be able to sell their eggs as cage-free which
has a lower cost of production but also lower premiums compared to the
organic egg market.
---------------------------------------------------------------------------
\86\ AMS based this assumption on a review of Organic System
Plans for organic egg operations which have more than one level of
living space and at least 16,000 hens. We set this criteria to
capture aviaries. We reviewed 62 OSPs to visually gauge whether the
land area adjacent to the houses could be sufficient to comply with
the proposed outdoor stocking density.
\87\ For clarification, ``exit'' is used in this analysis to
indicate that producers would leave the organic market but would
continue to produce eggs or poultry for the conventional market.
---------------------------------------------------------------------------
For this analysis, we estimate the foregone profit as the
difference in net returns for cage-free and organic eggs for a 13 year
period. This accounts for the time needed to fully depreciate layer
houses. Reported profit effects are decreased by 1/13th each year. We
estimate that in aggregate producers who cannot comply with the reduced
outdoor space requirements and move to cage free production would have
reduced net revenues of $27 million in the first year that the rule is
fully implemented. However, by year six, 5/13th of these aviary layer
barns would have been fully depreciated, so none of these costs
incurred are included in this proposed rule. In year six, 5/13ths of
actual costs are removed leaving a reported cost of $16.6 million. Each
subsequent year, an additional 1/13th of the actual costs are removed
until reported profit effects reach $0 in year 14. We estimate that the
foregone profit from the transition to the cage-free egg market would
total $216 million of which AMS is reporting in this analysis $74.1
million, averaging $5.7 million over 13 years.\88\
---------------------------------------------------------------------------
\88\ Total costs incurred for the egg producers who move to the
cage-free market are $216 million ($26,966,000 per year over 8
years).
---------------------------------------------------------------------------
These profit effects encompass real costs and cost savings, such as
the savings resulting from a switch from organic feed to less expensive
conventional feed; however, the highest-magnitude aspect of the profit
effect is very likely the non-collection of the differential price
premiums for organic eggs relative to cage-free eggs. As discussed
previously, consumers pay this premium largely because they place a
value on laying hens having access to the outdoors. However, the
exiting producers have not been giving their animals sufficient access
to the outdoors, so the non-payment of these price premiums does not
correspond to changes in costs (e.g., the costs of providing outdoor
access) or benefits (e.g., the value of animal welfare) because the
outdoor access availability is the same with the cage-free production
option as it is in the baseline. As such, in the context of a society-
wide cost-benefit analysis, the price payment effect associated with a
switch to cage-free label claims--and, by extension, most of the
overall net profit effect--would be categorized as a transfer of value
from egg producers to egg consumers.
To complete the estimate for this exit scenario we assume that
organic egg producers, including the 10 percent of organic aviaries
that do not exit to the cage-free market, have the land base to meet
the proposed outdoor access requirement and will maintain organic egg
production. As described in the above scenario, these producers will
incur increased expenses for higher feed costs due to decreased feed
efficiency and maintenance of outdoor access areas (e.g., fencing). In
addition, we expect that aviaries will need additional land to comply
with the outdoor stocking density and will face increased annual rent
for land. These organic producers would also experience reduced profits
resulting from decreased lay rate and higher mortality with increased
outdoor access.
Estimated costs of complying with the proposed rule, for those
producers who do not transition to cage-free, will average $6.3 to
$21.5 million annually for 13 years. Transfers associated with the
switch to cage-free (by some, but not all, producers) average $5.7
million over that time horizon. Table 10 shows how these estimated
costs and transfers are distributed over 13 years. Note that the upper
bound costs in the laying hens column increase over time, as producers
who temporarily exited organic production in favor of cage-free expand
their production space so as to allow them to satisfy the proposed
higher organic standard and they thus incur higher costs (e.g., due to
greater predation).
[[Page 21996]]
[GRAPHIC] [TIFF OMITTED] TP13AP16.001
Impact on Organic Egg Supply
AMS has also considered the impact of the proposed rule on the
organic egg supply if 90 percent of organic aviaries exit the organic
egg market. We are using the number of layers as an indicator of
organic egg supply. The number of organic layers grew 12.3 percent
annually from 2007-2015.\89\ We expect that this growth rate will not
be sustained and project that the number of organic layers will grow 2
percent
[[Page 21997]]
annually after year 2015. The 2 percent annual growth is estimated
based on the historical growth rate in the number of nonorganic layers
between 2007 to 2015.\90\ Figure 1 shows the projected growth
trajectory for each producer response scenario.
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\89\ USDA Livestock, Poultry and Grain Market News, 2015. This
is the compound annual growth rate from 2007 to 2015. The growth
from one-year to the next could have been higher or lower than the
12.3 percent average.
\90\ Ibid.
[GRAPHIC] [TIFF OMITTED] TP13AP16.002
We estimate that up to 90 percent of organic aviaries could exit to
the cage-free market. In this case, we expect that the number of layers
would drop by 43 percent relative to peak production. Peak production
would occur 5 years after publication of the final rule and the drop in
production would occur 6 years after publication when the rule must be
fully implemented. After the projected decline, AMS expects that the
organic layer population would resume growth at the 2 percent annual
rate. This is likely a conservative estimate as unmet consumer demand
for organic eggs would be an incentive for operations to enter organic
egg production and for existing organic operations to expand. Assuming
that all organic producers comply with this proposed rule and maintain
organic production, we expect that the number of organic layers will
grow 2 percent annually throughout and after the implementation period.
AMS is proposing that the final rule, except for the avian outdoor
access provisions, be implemented one year after publication. The avian
outdoor access provisions would be implemented in two phases: (1)
Operations/facilities/poultry houses which are initially certified 3
years after publication would need to comply with the outdoor stocking
density to obtain certification; (2) All operations certified before
the 3-year mark would need to comply with the proposed outdoor stocking
density 5 years after the publication of the final rule.
The increased operating expenses are projected to raise the break-
even price per dozen eggs by 3.2 percent to 3.6 percent for floor
housing systems and aviaries respectively. We use break-even price as a
proxy for wholesale price. Based on studies, cited above, evaluating
consumers' willingness-to-pay for outdoor access, we anticipate that
price increases of this magnitude would not deter consumer purchases of
organic eggs.
AMS acknowledges that achieving consistent organic practices is
critical to maintain consumer trust in the organic sector and may
necessitate that some producers leave the organic market and use
alternate labeling claims. However, we expect that updating the organic
livestock standards in response to consumer and producer preferences
will avert widespread, adverse impacts from maintaining the status quo.
Persistent consumer confusion about organic labels on eggs and other
livestock products jeopardizes consumer trust in the organic label
generally and undermines a key purpose for establishing a national
organic certification program. In addition to constraining the
performance of existing organic operations, these conditions could
discourage participation in the NOP as producers seek alternate
certification to better convey their management practices to consumers.
On the other hand, organic livestock production standards that are
relevant and responsive to consumer preferences should drive demand for
organic products and attract new entrants to the organic livestock
market. This would have positive monetary impacts for organic livestock
producers and other organic operations that produce/handle animal feed.
We have not quantified the potential broader implications for not
pursuing this action.
Impacts on Other Entities
AMS expects that the proposed handling requirements for organic
livestock, including transit and slaughter, are common industry
practice and would not substantially affect producers or handlers.
During the development and deliberation of the NOSB's animal welfare
recommendations in 2009 and 2011, there were numerous public comments.
Those comments did not inform of any substantial impacts of provisions
pertaining to mammalian livestock.
USDA's Animal and Plant Health Inspection Service (APHIS) already
has requirements to support animal health during transit. With regard
to slaughter, USDA's Food Safety and Inspection Service (FSIS) already
requires that mammalian slaughter facilities meet
[[Page 21998]]
similar requirements as those recommended by the NOSB, per the Humane
Methods of Slaughter Act within the Federal Meat Inspection Act.
Some small mammalian slaughter facilities may not currently be
inspected by FSIS; for example, those operations that sell meat intra-
state only. However, AMS understands that humane slaughter practices in
compliance with the Humane Methods of Slaughter Act are industry
standard. AMS expects that costs incurred to comply with the proposed
rule would not be a substantial barrier. Such costs could include those
related to training staff, developing record-keeping materials, making
minor facility renovations, and documenting and analyzing the
facility's compliance with the proposed rule. Therefore, AMS does not
expect that existing organic slaughter facilities would incur
substantial costs or make onerous changes to current facilities or
procedures in order to comply with the proposed rule.
AMS understands that it is possible that a subset of the existing
certified organic slaughter facilities could surrender their organic
certification as a result of this action, which could impact organic
livestock producers. However, AMS cannot predict the number of such
entities, if any, that would surrender organic certification and the
corresponding impact to organic producers. Similarly, certain
businesses currently providing livestock transport services for
certified organic producers or slaughter facilities may be unwilling to
meet and/or document compliance with the proposed livestock transit
requirements. AMS is requesting comments specifically on the proposed
regulations for slaughter.
As discussed below in the Paperwork Reduction Act section, this
proposed rule would impose additional paperwork requirements. Organic
livestock and poultry producers and handlers must develop and maintain
an organic system plan. This is a requirement for all organic
operations, and the USDA organic regulations describe what information
must be included in an organic system plan (Sec. 205.201). This
proposed rule describes the additional information (Sec. Sec. 205.238,
205.239, 205.241, and 205.242) that will need to be included in a
livestock operation's organic system plan in order to assess
compliance. AMS estimates the annual cost to compile this information
will be $400 per organic livestock producer. AMS expects that as
producers adapt to the requirements introduced by the amendments at
Sec. Sec. 205.238, 205.239, 205.241, and 205.242, the number of labor
hours per year for currently certified operators will decrease.
This proposed rule would also impose a minor burden on certifying
agents. These entities will need to become familiar with the
requirements of the proposed rule and update organic system plan forms.
AMS does not expect that this proposed rule would impose any unique
cost burdens on foreign-based livestock operations that are USDA
certified organic due to the extremely limited number of foreign
certified poultry operations. There are less than 5 producers and
handlers of USDA certified egg or chicken operations outside of the
U.S. according to the NOP's Organic Integrity database. There are less
than 70 USDA certified organic operations that have mammalian livestock
and operation outside of the U.S.; most of these are cattle operations
in Australia.
AMS did not estimate costs for impacts to third-party animal
welfare certification programs. As discussed above, we expect that
organic producers may opt to no longer participate in these
certification programs once this proposed rule is finalized. AMS
believes that these private certification programs have a participant
base that is broader than organic producers and offer a unique service
for producers who want to convey specific information about animal
welfare practices to consumers.
Conclusions
This proposed rule will maintain consumer trust in the value and
significance of the USDA organic seal, particularly on organic
livestock products. Clear and consistent standards for organic
livestock practices, especially maximum stocking density and outdoor
access for poultry, are needed and broadly anticipated by most
livestock producers, consumers, trade groups, certifying agents, and
OIG. This action completes the process, as intended by OFPA and
reiterated in the USDA organic regulations, to build more detailed
standards for organic livestock. By resolving the ambiguity about
outdoor access for poultry, this action furthers an objective of OFPA:
Consumer assurance that organically produced products meet a consistent
standard. In turn, it also provides assurance to producers that organic
certification standards reflect the expectations of the consumer base.
Augmenting the animal welfare practice standards for organic livestock
would provide a foundation for efficient and equitable compliance and
enforcement and facilitate fair competition among organic livestock
producers. AMS is providing a 5-year implementation period for the
outdoor access provisions for poultry in consideration of the average
time needed to finish depreciating the capital costs of aviary houses,
production realities and cost to producers who invested in organic
production facilities.
AMS is seeking comments on the economic impacts, both costs and
benefits, of this action on the industry. We are specifically
interested in validating the accuracy of assumptions about available
outdoor space, and more precise estimates of the number and size of egg
layer and broiler operations that may be affected by this action. The
costs and benefits are summarized in the Executive Summary and were
described in detail in this section.
B. Executive Order 12988
Executive Order 12988 instructs each executive agency to adhere to
certain requirements in the development of new and revised regulations
in order to avoid unduly burdening the court system. This proposed rule
is not intended to have a retroactive effect.
States and local jurisdictions are preempted under the OFPA from
creating programs of accreditation for private persons or State
officials who want to become certifying agents of organic farms or
handling operations. A governing State official would have to apply to
USDA to be accredited as a certifying agent, as described in section
6514(b) of the OFPA. States are also preempted under sections 6503 and
6507 of the OFPA from creating certification programs to certify
organic farms or handling operations unless the State programs have
been submitted to, and approved by, the Secretary as meeting the
requirements of the OFPA.
Pursuant to section 6507(b)(2) of the OFPA, a State organic
certification program may contain additional requirements for the
production and handling of organically produced agricultural products
that are produced in the State and for the certification of organic
farm and handling operations located within the State under certain
circumstances. Such additional requirements must: (a) Further the
purposes of the OFPA, (b) not be inconsistent with the OFPA, (c) not be
discriminatory toward agricultural commodities organically produced in
other States, and (d) not be effective until approved by the Secretary.
Pursuant to section 6519(f) of the OFPA, this proposed rule would
not alter the authority of the Secretary under the Federal Meat
Inspection Act (21 U.S.C. 601-624), the Poultry Products Inspection Act
(21 U.S.C. 451-
[[Page 21999]]
471), or the Egg Products Inspection Act (21 U.S.C. 1031-1056),
concerning meat, poultry, and egg products, nor any of the authorities
of the Secretary of Health and Human Services under the Federal Food,
Drug and Cosmetic Act (21 U.S.C. 301-399), nor the authority of the
Administrator of the EPA under the Federal Insecticide, Fungicide and
Rodenticide Act (7 U.S.C. 136-136(y)).
Section 6520 of the OFPA provides for the Secretary to establish an
expedited administrative appeals procedure under which persons may
appeal an action of the Secretary, the applicable governing State
official, or a certifying agent under this title that adversely affects
such person or is inconsistent with the organic certification program
established under this title. The OFPA also provides that the U.S.
District Court for the district in which a person is located has
jurisdiction to review the Secretary's decision.
C. Regulatory Flexibility Analysis
The Regulatory Flexibility Act (RFA) (5 U.S.C. 601-612) requires
agencies to consider the economic impact of each rule on small entities
and evaluate alternatives that would accomplish the objectives of the
rule without unduly burdening small entities or erecting barriers that
would restrict their ability to compete in the market. The purpose is
to fit regulatory actions to the scale of businesses subject to the
action.
The RFA permits agencies to prepare the initial RFA in conjunction
with other analyses required by law, such as the Regulatory Impact
Analysis (RIA). AMS notes that several requirements to complete the RFA
overlap with the RIA. For example, the RFA requires a description of
the reasons why action by the agency is being considered and an
analysis of the proposed rule's costs to small entities. The RIA
describes the need for this proposed rule, the alternatives considered
and the potential costs and benefits of this proposed rule. In order to
avoid duplication, we combine some analyses as allowed in section
605(b) of the RFA. The RIA explains that the scope of that analysis is
the impact on the organic egg sector. AMS believes that other types of
organic livestock and poultry production would not face significant
costs to comply with this proposed rule because the proposed provisions
generally codify current practices. As explained below, AMS expects
that the vast majority of organic egg producers and broiler producers
that could be impacted by this proposed rule would qualify as small
businesses. In the RIA, the discussion of alternatives and the
potential costs and benefits pertain to impacts upon all entities,
including small entities. Therefore, the scope of those analyses is
applicable to the RFA. The RIA should be referred to for more detail.
Why is AMS proposing this rule?
The Organic Food Production Act (OFPA) provides general
requirements for organic livestock production, and directs USDA to
provide more detailed provisions through rulemaking. The current USDA
organic regulations have broad and general requirements for ensuring
the welfare of certified organic livestock and poultry. Organic
livestock and poultry must be raised in a way that accommodates their
health and natural behavior and reduces stress. Specifically, organic
livestock and poultry producers must provide access to the outdoors,
shade, clean and dry bedding, shelter, space for exercise, fresh air,
clean drinking water, and direct sunlight (Sec. 205.239(a)).
Additionally, the organic regulations describe allowed and prohibited
livestock healthcare practices and specify requirements for organic
livestock living conditions (Sec. 205.239(b)). AMS began the process
of adding more specificity to the livestock provisions with the
publication of the 2010 final rule on access to pasture for ruminants.
This action would fulfill the expectations set forth in OFPA and
anticipated by the organic community for more clarity on production
practices for poultry and other livestock species.
The USDA organic regulations for livestock and poultry are general
and can apply to various production situations. However, as described
above, varying interpretations of these regulations have resulted in
different practices, particularly concerning outdoor access for
poultry. One of the main disparities in practice is the use of porches
to provide outdoor access versus an uncovered area with soil and/or
vegetation. This disparity in outdoor access has economic implications
for the operations and jeopardizes consumer confidence in the organic
label.
AMS has received formal complaints from organic poultry farmers who
provide outdoor access through pasture-based systems. These operations
have cited that they are at a competitive disadvantage compared to
operations that are providing more limited access to the outdoors.\91\
To resolve this divergence in practices, the NOSB, organic trade
groups, and consumer groups have pressed AMS to intervene and set clear
guidelines regarding outdoor access, minimum space requirements, and
other livestock and poultry provisions. With this proposed rule, AMS is
proposing more specific requirements for organic livestock and poultry,
including specific minimum indoor and outdoor space requirements for
organic poultry, and provisions for handling during transportation and
slaughter. These proposed requirements are largely based on
recommendations from the NOSB which were developed with substantive
input from stakeholders, including producers and consumers. In the RIA,
AMS explains that the outdoor access requirements for poultry are
expected to have cost impacts for organic egg and broiler producers.
Therefore, this analysis focuses on those production sectors. The other
proposed requirements for mammalian living conditions, healthcare
practices and handling during transport and slaughter would essentially
codify existing practices and are not considered in this analysis. The
scope of the analysis is also explained in the RIA.
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\91\ Increased outdoor access is associated with increased
mortality due to predation and decreased feed efficiency.
---------------------------------------------------------------------------
Consumers have become increasingly interested in how their food is
produced and make purchasing decisions based on the method of
production. Based on public comments received in response to the NOSB's
recommendations on animal welfare, AMS understands that consumers
expect, and are willing to pay more for, animal welfare requirements
that are more stringent than conventional products. This includes
outdoor access for organic poultry. AMS believes that the costs
incurred by producers in complying with this proposed action are
necessary to reflect consumer expectations for organic products. If
implemented, this action would, as discussed in the benefits portion of
the RIA, support consumer expectations related to practices for organic
livestock. AMS believes that the long-term economic impact of not
implementing this proposed rule could undermine the integrity of the
USDA organic seal, if there is ambiguity regarding how the USDA organic
regulations must be applied across the organic livestock and poultry
sector.
Would I be affected by the rule?
AMS has considered the economic impact of this proposed action on
small entities. Small entities include avian and mammalian livestock
producers and slaughter facilities that currently hold or are
considering certification to the USDA organic regulations, as well as
[[Page 22000]]
organic certifying agents. While the proposed action would affect all
operations involved in the production, handling, and certification of
organic livestock, AMS believes that the cost of implementing the
proposed rule will fall primarily on current and prospective organic
egg and broiler producers, including: (1) Individuals or business
entities that are considering starting a new egg or poultry operation
and that plan to seek organic certification for that operation, (2)
existing egg and broiler producers that plan to seek organic
certification for that operation, and (3) existing egg and broiler
producers that are currently certified organic under the USDA organic
regulations.
The RFA requires, with some exception, that AMS define small
businesses according to its size standards. The Small Business
Administration (SBA) sets size standards for defining small businesses
by number of employees or amount of revenues for specific industries.
These size standards vary by North American Industry Classification
System (NAICS) code (13 CFR part 121.201). For the RFA analysis, AMS
focused on estimating how different size organic layer and broiler
operations (small versus large) would be impacted as a result of
meeting the proposed indoor and outdoor space requirements.
AMS does not expect that the proposed rule would substantially
affect other stakeholders, including (1) operations that produce other
organic poultry, (2) operations that produce mammalian livestock, (3)
operations that handle organic livestock, and (4) organic certifying
agents. These determinations are based on a number of assumptions
described below and explained in the RIA. This analysis focused on the
impact of the proposed rule on small businesses in the United States.
What are the estimated costs for organic layer operations?
Small egg producers are listed under NAICS code 112310 (Chicken Egg
Production) as grossing less than $15,000,000 per year. AMS estimates
that out of 722 operations reporting sales of organic eggs, 4 exceed
that threshold.\92\ However, we estimate that large producers account
for 25 percent of organic egg production.
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\92\ The National Agricultural Statistics Service's 2014 Organic
Survey provides the number of farms reporting sales of organic eggs
and those reporting sales of organic broilers. AMS requested a
special tabulation from NASS to obtain the number of organic egg and
organic broiler operations which exceed the Small Business
Administration sales criterion for small businesses in each of these
production categories.
---------------------------------------------------------------------------
The availability of adjacent land for egg laying operations to meet
the proposed outdoor access requirements is the main determinant of
costs to implement this rule. AMS projects that organic egg and broiler
producers would be able to meet this proposed rule with only modest
costs. We assume that these producers have or can acquire adequate
outdoor space to meet the proposed outdoor stocking density. For these
producers, the increased costs are due primarily to increased
mortality, reduced feed efficiency associated with increased outdoor
access, maintenance of outdoor areas (e.g., fencing) and for broilers,
reduced number of birds to meet the indoor stocking density.\93\ The
reported cost estimates for this scenario are provided in the RIA in
Table 9. We project the reported costs would total $4.5 million for
small layer operations and $1.5 million for large layer operations. Per
operation, we estimate the total annual cost would be slightly over
$6,000 for small operations and $380,000 for large operations.\94\
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\93\ Due to increased mortality, producers may need to have more
birds to offset the losses. In addition, birds may expend more
energy with increased outdoor access requiring more feed per bird.
\94\ The per operation totals are calculated using 722 as the
total number of organic layer operations; 718 qualify as small and 4
qualify as large per the SBA size standards.
Table 11--Estimated Costs for Organic Layer Operations Based on Size
------------------------------------------------------------------------
Small Large
operations operations
(less than $15 ($15 million
million in or more in
sales) sales)
------------------------------------------------------------------------
Reported costs annualized over 13 years $4.56 $1.52
(million)..............................
Average, 13 year annualized reported 6,350 380,000
cost per operation.....................
------------------------------------------------------------------------
AMS recognizes that the reported costs exclude the majority of
compliance costs current organic layer operations will face. For
organic layers operations, the compliance costs incurred will be $21.12
million each year after implementation for small operations and $7
million each year after implementation for large operations. Each small
layer operation will incur compliance costs of $29,400 each year after
implementation and each large layer operation will incur compliance
costs of $1.76 million each year after implementation.
AMS expects that the costs to comply with the proposed outdoor
space requirements would be more burdensome for larger organic layer
producers and would increase the likelihood for these operations to
transition to a cage-free label. Since nearly all of the organic
producers qualify as small businesses, we expect that there is
considerable variation in the size of operations in this category.
These operations would require significantly more land and would be
less likely to have that area available for expansion.
As previously stated, however, producers could choose to surrender
their organic certification and move to alternate labels such as cage-
free, which would reduce both their annual profits and their annual
operating costs. AMS estimated the cost for the potential scenario in
which 90 percent of organic aviary operations transition to the cage-
free market in response to this proposed rule. Because aviary houses
hold more birds, these operations will require a larger land base to
comply with the outdoor stocking density. Therefore, we expect that any
operations would which exit the organic egg market would not qualify as
small businesses per SBA criteria. AMS estimates that if a 100,000-
dozen-egg, aviary facility transitioned from the current USDA organic
regulations to the cage-free label, the operation would, on average,
have reduced annual profits ($7,262 versus $26,482).
Organic Broiler Producers
Small chicken producers are listed under NAICS code 11230 (Broilers
and Other Meat Type Chicken Production) as grossing less than $750,000
per year. According to the NASS special
[[Page 22001]]
tabulation, AMS estimates that 27 of the 245 operations reporting sales
of organic broilers would not qualify as small businesses. AMS
estimates that the large businesses represent 25 percent of the organic
broiler market. AMS reports that the proposed indoor and outdoor space
requirements would impose average costs of $3.4 million per year.
Table 12--Estimated Costs for Organic Broiler Operations Based on Size
------------------------------------------------------------------------
Small
operations Large
(less than operations
$750,000 in (over $750,000
annual sales) in annual
\a\ sales)
------------------------------------------------------------------------
Reported costs annualized over 13 years. $2.53 million $845,000
Average, 13 year annualized, reported 11,600 31,300
cost per operation.....................
------------------------------------------------------------------------
AMS recognizes that the reported costs exclude the majority of
compliance costs current organic broiler operations will face. For
organic broiler operations, the compliance costs incurred will be $5.5
million each year after implementation for small operations and $1.8
million each year after implementation for large operations. Each small
layer operation will incur compliance costs of $25,200 each year after
implementation and each large layer operation will incur compliance
costs of $68,000 each year after implementation.\95\
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\95\ The per operation totals are calculated using 245 as the
total number of organic layer operations; 218 qualify as small and
27 qualify as large per the SBA size standards.
.
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Would other organic livestock producers and handlers be substantially
affected?
Based on available data, AMS does not expect that other organic
livestock producers and handlers would be substantially affected by
this proposed action. As explained in the RIA, we expect the proposed
provisions for mammalian living conditions and health care practices,
and handling and transport to slaughter, would codify existing industry
practices. These determinations are based on a series of assumptions
described below.
Organic Mammalian Livestock Producers
AMS believes the proposed clarifications for organic mammalian
livestock, including provisions related to animal treatment and
physical alternations, are common industry practice and would not have
a substantial impact on such producers. AMS previously addressed major
living condition changes for ruminant livestock in its final rule,
Access to Pasture (Livestock) (75 FR 7154, February 17, 2010).
Organic Livestock Handling Operations
Based on available information, AMS understands that, in practice,
all handling operations for organic livestock are small businesses. We
expect that the proposed handling requirements for organic livestock,
including transit and slaughter, are common industry practice and would
not substantially affect handlers. USDA's Animal and Plant Health
Inspection Service (APHIS) already has requirements to support animal
welfare during transit. AMS understands that the proposed additional
requirements related to transit are of industry standard. Also,
operations providing transit services for organic livestock are not
required to be certified to the USDA organic standard. Therefore, while
operations providing transit services would need to comply with the
proposed transit requirements, they would not be directly subject to
additional certification requirements.
Both small livestock slaughter facilities (NAICS code 311611) and
poultry slaughter facilities (NAICS code 311615) are defined as those
grossing less than $500,000,000 per year. AMS understands that most of
the approximately 114 U.S.-based livestock slaughter facilities
certified to the USDA organic regulations are small businesses. With
regard to slaughter, USDA's Food Safety and Inspection Service (FSIS)
already requires that mammalian slaughter facilities meet similar
requirements as those recommended by the NOSB, per the Humane Methods
of Slaughter Act within the Federal Meat Inspection Act. Some small
mammalian slaughter facilities may not currently be inspected by FSIS;
for example, those operations that sell meat intra-state only. However,
AMS understands that humane slaughter practices in compliance with the
Humane Methods of Slaughter Act are industry standard. In addition,
some small poultry slaughter facilities which are exempt from FSIS
inspection already observe the good commercial practices that would
align with the Poultry Products Inspection Act and FSIS regulations.
AMS expects that costs incurred to comply with the proposed rule would
not be a substantial barrier. Such costs could include those related to
training staff, developing record-keeping materials, making minor
facility renovations, and documenting and analyzing the facility's
compliance with the proposed rule. Therefore, AMS does not expect that
existing organic slaughter facilities would incur substantial costs or
make onerous changes to current facilities or procedures in order to
comply with the proposed rule.
AMS understands that it is possible that a subset of the existing
certified organic slaughter facilities could surrender their organic
certification as a result of this action, which could impact organic
livestock producers. However, AMS cannot predict the number of such
entities, if any, that would surrender organic certification and the
corresponding impact to organic producers. Similarly, certain
businesses currently providing livestock transport services for
certified organic producers or slaughter facilities may be unwilling to
meet and/or document compliance with the proposed livestock transit
requirements.
What is the impact for organic certifying agents?
This proposed rule would also affect certifying agents that certify
organic livestock operations. The Small Business Administration (SBA)
defines small agricultural service firms, which includes certifying
agents, as those having annual receipts of less than $7,500,000 (North
American Industry Classification System Subsector 115--Support
Activities for Agriculture and Forestry). There are currently 79 USDA-
accredited certifying agents; based on a query of the NOP certified
organic operations database, there are approximately 41 certifying
agents who are currently involved in the certification of organic
livestock
[[Page 22002]]
operations. AMS believes that these certifying agents would meet the
criterion for a small business, though some are agencies of state
governments. While certifying agents are small entities that will be
affected by this proposed rule, we do not expect these certifying
agents to incur substantial costs as a result of this action.
Certifying agents must already comply with the current regulations,
e.g., maintaining certification records for their clients. Their
primary new responsibility under this proposal would be to determine if
organic livestock producers are meeting the requirements proposed in
this rule, including but not limited to the minimum indoor and outdoor
space requirements for organic poultry.
How would the proposed implementation period affect small businesses?
Minimum Outdoor Space Requirements
AMS understands that, based on the analysis above, both small and
large organic layer operations and broiler operations may incur costs
in order to comply with the proposed minimum indoor and outdoor space
requirements. While our analysis demonstrates that large poultry
operations would have significantly higher compliance costs than small
operations on average, we understand that small producers that are
closer to the 245,000-hen threshold or the 150,000 broiler threshold
may still incur substantial costs to comply with the proposed rule.
Therefore, AMS is seeking to reduce the economic burden to organic
producers, including small businesses, without unduly delaying the
improved animal conditions.
AMS is proposing a 5-year implementation period for the minimum
outdoor space requirements for poultry. A facility which is certified
before 3 years after publication of the final rule would have 5 years
to come into compliance. Producers and poultry houses which are not
certified prior to 3 years after publication of the final rule would
need to meet all of the requirements in order to obtain organic
certification. Such new operations and poultry houses would include:
(1) all poultry houses that first became certified organic 3 years or
more after the final rule was published; and (2) new or replacement
poultry houses operated by existing organic layer operations if such
facilities were built 3 years or more after the final rule was
published.
By providing an implementation period, both large and small
existing organic producers would have additional time to implement the
necessary changes in order to comply with the proposed rule. For
example, operations choosing to expand will need land for the outdoor
space. This new land would need to be certified organic before organic
poultry could have access to it. Since land that has been treated with
a prohibited substance in the past 3 years is not eligible for organic
certification, the implementation period would allow organic producers
to transition additional land to organic production. The 5-year
implementation is based upon our estimate that the average age of an
organic layer house is 7.6 years and has depreciated over 13 years for
tax purposes. Therefore, a 5-year implementation period would allow
organic egg producers, on average, to recover the costs of a poultry
house. While we expect that organic egg producers will bear a greater
cost burden for this proposed rule, this implementation period should
also align with upgrades to or new construction for broiler houses. We
expect that 15 percent of broiler houses generally are 5 years old or
less and have a depreciation rate of 15 years.\96\ While organic
broiler houses are likely to be newer on average, given that the NOP
was not established until 2002, we anticipate that the majority of
organic broiler houses would be nearing the useful life of the broiler
house when this rule is implemented.
---------------------------------------------------------------------------
\96\ This reflects the percentage of broiler houses in the U.S.,
not specific to organic operations that were 15 years old or less in
2006. We applied that proportion to this analysis because the
population of broilers has grown since that time, so houses that
were older than 15 years are likely to have been upgraded or
renovated in the interim. This data was reported in MacDonald, James
M. The Economic Organization of U.S. Broiler Production. Economic
Information Bulletin No. 38. Economic Research Service, U.S. Dept.
of Agriculture, June 2008. The depreciation rate was reported in the
Organic Egg Farmers of America Survey conducted in July 2014 and
cited above.
---------------------------------------------------------------------------
All Other Requirements
For all other provisions of the proposed rule, AMS is proposing an
implementation date of one year after the publication of the final
rule. AMS chose a one-year period because all livestock and slaughter
operations will need to change their Organic System Plans (OSPs) to
meet the proposed requirements. During the one-year implementation
period, certifying agents would need to update their OSP forms and make
modifications to their certification processes in order to evaluate
compliance with the proposed new requirements. This would include
training staff and inspectors. AMS believes one year is adequate for
organic operations, including for small businesses, to implement these
changes.
Do these requirements overlap or conflict with other federal rules?
AMS has not identified any relevant Federal rules that are
currently in effect that duplicate, overlap, or conflict with this
proposed rule. AMS has reviewed rules administered by other Federal
agencies, including APHIS and FSIS, and revised the proposed rule to
avoid duplication. This action provides additional clarity on the
animal welfare requirements for organic livestock that are specific and
limited to the USDA organic regulations.
D. Executive Order 13175
This proposed rule has been reviewed in accordance with the
requirements of Executive Order 13175, ``Consultation and Coordination
with Indian Tribal Governments.'' Executive Order 13175 requires
Federal agencies to consult and coordinate with tribes on a government-
to-government basis on policies that have tribal implications,
including regulations, legislative comments or proposed legislation,
and other policy statements or actions that have substantial direct
effects on one or more Indian tribes, on the relationship between the
Federal Government and Indian tribes or on the distribution of power
and responsibilities between the Federal Government and Indian tribes.
AMS has assessed the impact of this rule on Indian tribes and
determined that this rule does not, to our knowledge, have tribal
implications that require tribal consultation under E.O. 13175. If a
Tribe requests consultation, AMS will work with the Office of Tribal
Relations to ensure meaningful consultation is provided where changes,
additions and modifications identified herein are not expressly
mandated by Congress.
E. Paperwork Reduction Act
In accordance with the Paperwork Reduction Act of 1995 (44 U.S.C.
3501-3520) (PRA), AMS is requesting OMB approval for a new information
collection totaling 119,957 hours for the reporting and recordkeeping
requirements contained in this proposed rule. OMB previously approved
information collection requirements associated with the NOP and
assigned OMB control number 0581-0191. AMS intends to merge this new
information collection, upon OMB approval, into the approved 0581-0191
collection. Below, AMS has described and estimated the annual burden,
i.e., the amount of time and cost of labor, for entities to prepare and
maintain information to participate
[[Page 22003]]
in this proposed voluntary labeling program. The OFPA, as amended,
provides authority for this action.
Title: National Organic Program; Organic Livestock and Poultry
Practices.
OMB Control Number: 0581-NEW.
Expiration Date of Approval: 3 years from OMB date of approval.
Type of Request: New collection.
Abstract: Information collection and recordkeeping is necessary to
implement reporting and recordkeeping necessitated by amendments to
Sec. Sec. 205.238, 205.239, 205.241, and 205.242 for additional animal
welfare standards for organic livestock production under the USDA
organic regulations. OFPA authorizes the further development of
livestock production standards (7 U.S.C. 6513(c)). This action is
necessary to address multiple recommendations provided to USDA by the
NOSB to add specificity about animal welfare practices with the purpose
of ensuring consumers that conditions and practices for livestock
products labeled as organic encourage and accommodate natural behaviors
and utilize preventive health care slaughter practices.
All certified organic operations must develop and maintain an
organic system plan for certification (Sec. 205.201). The OSP must
include a description of practices and procedures to be performed and
maintained, including the frequency with which they will be performed.
Under the proposed rule, organic livestock operations would be subject
to additional reporting requirements. The amendments to Sec. Sec.
205.238, 205.239, 205.241, and 205.242 require livestock operations to
provide specific documentation as part of an organic system plan to
include conditions on livestock living conditions to permit natural
behavior, including minimum space, outdoor access and utilize
preventive health care practices (e.g. physical alterations,
euthanasia).
The PRA also requires AMS to measure the recordkeeping burden.
Under the USDA organic regulations each producer is required to
maintain and make available upon request, for 5 years, such records as
are necessary to verify compliance (Sec. 205.103). Certifying agents
are required to maintain records for 5 to 10 years, depending on the
type of record (Sec. 205.510(b)) and make these records available for
inspection upon request (Sec. 205.501(a)(9)). The new information that
livestock operations must provide for certification will assist
certifying agents and inspectors in the efficient and comprehensive
evaluation of these operations and will impose an additional
recordkeeping burden for livestock operations. Certifying agents
currently involved in livestock certification are required to observe
the same recordkeeping requirements to maintain accreditation,
therefore AMS expects that this proposed rule would not impose a
different recordkeeping burden on certifiers.
Reporting and recordkeeping are essential to the integrity of the
organic certification system. A clear paper trail is a critical tool to
verify that practices meet the mandate of OFPA and the USDA organic
regulations. This information supports the AMS mission, program
objectives, and management needs by enabling us to assess the
efficiency and effectiveness of the NOP. The information affects
decisions because it is the basis for evaluating compliance with OFPA
and USDA organic regulations, and for administering the NOP, management
decisions and planning, and establishing the cost of the program. It
also supports administrative and regulatory actions to address
noncompliance with OFPA and USDA organic regulations.
This information collection is only used by the certifying agent
and authorized representatives of USDA, including AMS and NOP staff.
Certifying agents, including any affiliated organic inspectors, and
USDA are the primary users of the information.
Respondents
AMS has identified three types of entities (respondents) that would
need to submit and maintain information in order to participate in
organic livestock certification. For each type of respondent, we
describe the general paperwork submission and recordkeeping activities
and estimate: (1) The number of respondents; (2) the hours they spend,
annually, completing the paperwork requirements of this labeling
program; and, (3) the costs of that activity.
1. Certifying agents. Certifying agents are State, private, or
foreign entities accredited by USDA to certify domestic and foreign
livestock producers and handlers as organic in accordance with OFPA and
USDA organic regulations. Certifying agents determine if a producer or
handler meets organic requirements, using detailed information from the
operation about its specific practices and on-site inspection reports
from organic inspectors. Currently, there are 77 certifying agents
accredited under NOP; many of which certify operations based in the
U.S. and abroad. AMS assumes all currently accredited certifying agents
evaluate livestock operations for compliance with the USDA organic
regulations and will therefore be subject to the amendments at
Sec. Sec. 205.238, 205.239, 205.241, and 205.242.
Each entity seeking to continue USDA accreditation for livestock
will need to submit information documenting its business practices
including certification, enforcement and recordkeeping procedures and
personnel qualifications (Sec. 205.504). AMS will review that
information during its next scheduled on-site assessment to determine
whether to continue accreditation for the scope of livestock.
Certifying agents will need to annually update the above information
and provide results of personnel performance evaluations and the
internal review of its certification activities (Sec. 205.510).
AMS projects that the additional components of organic system plans
for livestock may entail longer review times than those for other types
of organic system plans. AMS estimates the annual collection cost per
certifying agent will be $3,000.94. This estimate is based on an
estimated 91.8 labor hours per year at $32.69 per hour for a total
salary component of $3,000.94 per year. This value is assumed to be an
underestimate as the certifier bears a portion of the burden of the
inspector and certifiers employ varying numbers of inspectors. The
source of the hourly rate is the National Compensation Survey:
Occupational Employment and Wages, May 2014, published by the Bureau of
Labor Statistics. The rate is the mean hourly wage for compliance
officers. This classification was selected as an occupation with
similar duties and responsibilities to that of a certifying agent.\97\
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\97\ Compliance officers examine, evaluate, and investigate
eligibility for or conformity with laws and regulations governing
contract compliance of licenses and permits, and perform other
compliance and enforcement inspection and analysis activities not
classified elsewhere. Bureau of Labor Statistics, Occupational
Employment and Wages, May 2014, 13-1041 Compliance Officers.
---------------------------------------------------------------------------
2. Organic Inspectors. Inspectors conduct on-site inspections of
certified operations and operations applying for certification and
report the findings to the certifying agent. Inspectors may be the
agents themselves, employees of the agents, or individual contractors.
Certified operations will be inspected annually; a certifying agent may
call for additional inspections on an as needed basis (Sec.
205.403(a)). Any individual who applies to conduct inspections of
livestock operations will need to submit information documenting their
qualifications to the certifying agent (Sec. 205.504(a)(3)).
Inspectors will need to
[[Page 22004]]
provide an inspection report to the certifying agent for each operation
inspected (Sec. 205.403(e)). AMS projects that on average, inspectors
will spend 3 hours longer than average (10 hours) to complete an
inspection report for livestock operations. This estimate is due to the
additional components of the organic system plan that will need to be
inspected. Inspectors do not have recordkeeping obligations; certifying
agents maintain records of inspection reports.
According to the International Organic Inspectors Association
(IOIA), there are approximately 250 inspectors currently inspecting
crop, livestock, handling and/or wild crop operations that are
certified or have applied for certification. AMS assumes that
approximately half (125) of these inspectors inspect livestock
operations.
AMS estimates the annual collection cost per inspector to be
$6,731.37. This estimate is based on an estimated 321 additional labor
hours per year at $20.97 per hour for a total salary component of
$6,731.37 per year. The source of the hourly rate is the National
Compensation Survey: Occupational Employment and Wages, May 2014,
published by the Bureau of Labor Statistics. The rate is the mean
hourly wage for agricultural inspectors (occupation code 45-2011).
3. Producers and handlers. Domestic and foreign livestock producers
and handlers will submit the following information to certifying
agents: an application for certification, detailed descriptions of
specific practices, annual updates to continue certification, and
changes in their practices. Handlers include those who transport or
transform aquaculture products and may include bulk distributors, food
and feed manufacturers, processors, or packers. Some handlers may be
part of a retail operation that processes organic products in a
location other than the premises of the retail outlet.
In order to obtain and maintain certification, livestock producers
and handlers will need to develop and maintain an organic system plan.
This is a requirement for all organic operations and the USDA organic
regulations describe what information must be included in an organic
system plan (Sec. 205.201). This proposed rule describes the
additional information (Sec. Sec. 205.238, 205.239, 205.241, and
205.242) that will need to be included in a livestock operation's
organic system plan in order to assess compliance. Certified operations
are required to keep records about their organic production and/or
handling for 5 years (Sec. 205.103(b)(3)).
AMS used the NOP 2014 List of Certified Operations to estimate the
number of livestock operations that would be affected by this proposed
action. On that basis, AMS estimates that 4,177 currently certified
foreign and domestic livestock operations who will be subject to the
amendments at Sec. Sec. 205.238, 205.239, 205.241, and 205.242.\98\ To
estimate the number of livestock operations that will apply for and
become certified, AMS assumed that the proportion of livestock
operations to all operations will be consistent with that as reported
in information collection 0581-0191. On that basis, AMS estimates there
will be 59 operations that will apply for certification and become
certified organic livestock producers or handlers.
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\98\ NOP 2014 List of certified USDA organic operations.
Available on the NOP Web site, https://apps.ams.usda.gov/nop/.
---------------------------------------------------------------------------
AMS estimates the annual collection cost per organic livestock
producer to be $400.19. This estimate is based on an estimated 11.47
labor hours per year at $34.89 per hour for a total salary component of
$400.19 per year. AMS estimates that as producers adapt to the
requirements introduced by the amendments at Sec. Sec. 205.238,
205.239, 205.241, and 205.242, the number of labor hours per year for
currently certified operators will decrease. The source of the hourly
rate is the National Compensation Survey: Occupational Employment and
Wages, May 2014, published by the Bureau of Labor Statistics. The rate
is the mean hourly wage for farmers, ranchers and other agricultural
managers (occupation code 11-9013). Administrative costs for reporting
and recordkeeping will vary among certified operators. Factors
affecting costs include the type and size of operation, and the type of
systems maintained. AMS also recognizes that operators bear a portion
of the cost burden for the inspection which varies between certifiers.
Reporting Burden
Estimate of Burden: Public reporting burden for the collection of
information is estimated to be 22 hours per year.
Respondents: Certifying agents, inspectors and livestock
operations.
Estimated Number of Respondents: 4,438.
Estimated Number of Responses: 39,021.
Estimated Total Annual Burden on Respondents: 95,781 hours.
Total Cost: $2,767,692.
Recordkeeping Burden
Estimate of Burden: Public recordkeeping burden is estimated to be
an annual total of 5.12 hours per respondent.
Respondents: Certifying agents and livestock operations.
Estimated Number of Respondents: 4,719.
Estimated Total Annual Burden on Respondents: 24,176 hours.
Total Cost: $843,498.
Comments: AMS is inviting comments from all interested parties
concerning the information collection and recordkeeping required as a
result of the proposed amendments to 7 CFR part 205. Comments are
invited on: (1) Whether the proposed collection of information is
necessary for the proper performance of the functions of the agency,
including whether the information will have practical utility; (2) the
accuracy of the agency's estimate of the burden of the proposed
collection of information including the validity of the methodology and
assumptions used; (3) ways to enhance the quality, utility, and clarity
of the information to be collected; and (4) ways to minimize the burden
of the collection of information on those who are to respond, including
the use of appropriate automated, electronic, mechanical, or other
technological collection techniques or other forms of information
technology.
Comments that specifically pertain to the information collection
and recordkeeping requirements of this action should be sent to Paul
Lewis Ph.D., Director Standards Division, National Organic Program,
USDA-AMS-NOP, Room 2642-So., Ag Stop 0268, 1400 Independence Ave. SW.,
Washington, DC 20250-0268 and to the Desk Officer for Agriculture,
Office of Information and Regulatory Affairs, Office of Management and
Budget, New Executive Office Building, 725 17th Street NW., Room 725,
Washington, DC 20503. Comments on the information collection and
recordkeeping requirements should reference the date and page number of
this issue of the Federal Register. All responses to this notice will
be summarized and included in the request for OMB approval. All
comments will become a matter of public record. The comment period for
the information collection and recordkeeping requirements contained in
this proposed rule is 60 days.
F. Civil Rights Impact Analysis
AMS has reviewed this proposed rule in accordance with the
Department Regulation 4300-4, Civil Rights Impact Analysis (CRIA), to
address any major civil rights impacts the rule might have on
minorities, women, and persons with disabilities. After a careful
review of the rule's intent and provisions, AMS has
[[Page 22005]]
determined that this rule would only impact the organic practices of
organic producers and that this rule has no potential for affecting
producers in protected groups differently than the general population
of producers. This rulemaking was initiated to clarify a regulatory
requirement and enable consistent implementation and enforcement.
Protected individuals have the same opportunity to participate in
the NOP as non-protected individuals. The USDA organic regulations
prohibit discrimination by certifying agents. Specifically, Sec.
205.501(d) of the current regulations for accreditation of certifying
agents provides that ``No private or governmental entity accredited as
a certifying agent under this subpart shall exclude from participation
in or deny the benefits of the NOP to any person due to discrimination
because of race, color, national origin, gender, religion, age,
disability, political beliefs, sexual orientation, or marital or family
status.'' Section 205.501(a)(2) requires ``certifying agents to
demonstrate the ability to fully comply with the requirements for
accreditation set forth in this subpart'' including the prohibition on
discrimination. The granting of accreditation to certifying agents
under Sec. 205.506 requires the review of information submitted by the
certifying agent and an on-site review of the certifying agent's client
operation. Further, if certification is denied, Sec. 205.405(d)
requires that the certifying agent notify the applicant of their right
to file an appeal to the AMS Administrator in accordance with Sec.
205.681. These regulations provide protections against discrimination,
thereby permitting all producers, regardless of race, color, national
origin, gender, religion, age, disability, political beliefs, sexual
orientation, or marital or family status, who voluntarily choose to
adhere to the rule and qualify, to be certified as meeting NOP
requirements by an accredited certifying agent. This proposed rule in
no way changes any of these protections against discrimination.
List of Subjects in 7 CFR Part 205
Administrative practice and procedure, Agriculture, Animals,
Archives and records, Imports, Labeling, Organically produced products,
Plants, Reporting and recordkeeping requirements, Seals and insignia,
Soil conservation.
For the reasons set forth in the preamble, 7 CFR part 205 is
proposed to be amended as follows:
PART 205--NATIONAL ORGANIC PROGRAM
0
1. The authority citation for 7 CFR part 205 continues to read:
Authority: 7 U.S.C. 6501-6522.
0
2. Section 205.2 is amended by adding definitions for ``Beak
trimming'', ``Caponization'', ``Cattle wattling'', ``De-beaking'',
``De-snooding'', ``Dubbing'', ``Indoors'', ``Mulesing'', ``Outdoors'',
``Perch'', ``Pullet'', ``Roost'', ``Soil'', ``Stocking density'', and
``Toe clipping'' in alphabetical order to read as follows:
Sec. 205.2 Terms defined.
* * * * *
Beak trimming. The removal of the curved tip of the beak.
* * * * *
Caponization. Castration of chickens, turkeys, pheasants and other
avian species.
Cattle wattling. The surgical separation of two layers of the skin
from the connective tissue for along a 2 to 4 inch path on the dewlap,
neck or shoulders used for ownership identification.
* * * * *
De-beaking. The removal of more than the beak tip.
De-snooding. The removal of the turkey snood (a fleshy protuberance
on the forehead of male turkeys).
* * * * *
Dubbing. The removal of poultry combs and wattles.
* * * * *
Indoors. The flat space or platform area which is under a solid
roof. On each level the animals have access to food and water and may
be confined if necessary. Indoor space for avian species includes, but
is not limited to:
(1) Pasture housing. A mobile structure for avian species with 70
percent perforated flooring.
(2) Aviary housing. A fixed structure for avian species which has
multiple tiers/levels with feed and water on each level.
(3) Slatted/mesh floor housing. A fixed structure for avian species
which has both a slatted floor where perches, feed and water are
provided over a pit or belt for manure collection; and litter covering
the remaining solid floor.
(4) Floor litter housing. A fixed structure for avian species which
has absorbent litter covering the entire floor.
* * * * *
Mulesing. The removal of skin from the buttocks of sheep,
approximately 2 to 4 inches wide and running way from the anus to the
hock to prevent fly strike.
* * * * *
Outdoors. Any area in the open air with at least 50 percent soil,
outside a building or shelter where there are no solid walls or solid
roof attached to the indoor living space structure. Fencing or netting
that does not block sunlight or rain may be used as necessary.
* * * * *
Perch. A rod or branch type structure that serves as a roost and
allows birds to utilize vertical space in the house.
* * * * *
Pullet. A female chicken or other avian species being raised for
egg production that has not yet started to lay eggs.
* * * * *
Roost. A flat structure over a manure pit that allows birds to grip
with their toes as they would on a perch.
* * * * *
Soil. The outermost layer of the earth comprised of minerals,
water, air, organic matter, fungi and bacteria in which plants may grow
roots.
* * * * *
Stocking density. The weight of animals on a given unit of land at
any one time.
* * * * *
Toe clipping. The removal of the nail and distal joint of the back
two toes of a male bird.
* * * * *
0
3. Section 205.238 is revised to read as follows:
Sec. 205.238 Livestock health care practice standard.
(a) The producer must establish and maintain preventive health care
practices, including:
(1) Selection of species and types of livestock with regard to
suitability for site-specific conditions and resistance to prevalent
diseases and parasites.
(2) Provision of a feed ration sufficient to meet nutritional
requirements, including vitamins, minerals, protein and/or amino acids,
fatty acids, energy sources, and fiber (ruminants), resulting in
appropriate body condition.
(3) Establishment of appropriate housing, pasture conditions, and
sanitation practices to minimize the occurrence and spread of diseases
and parasites.
(4) Provision of conditions which allow for exercise, freedom of
movement, and reduction of stress appropriate to the species.
(5) Physical alterations may be performed to benefit the welfare or
hygiene of the animals, or for identification purposes or safety.
Physical alterations, if used, must be performed on livestock at a
reasonably
[[Page 22006]]
young age, with minimal stress and pain by a competent person.
(i) The following practices must not be routinely used on pigs and
must be used only with documentation that alternative methods to
prevent harm failed: needle teeth trimming (no more than top one-third
of the tooth) and tail docking.
(ii) The following practices must not be performed on a certified
operation: de-beaking, de-snooding, caponization, dubbing, toe trimming
of chickens, toe trimming of turkeys unless with infra-red at hatchery,
beak trimming after 10 days of age, tail docking of cattle, wattling of
cattle, face branding of cattle, tail docking of sheep shorter than the
distal end of the caudal fold, and mulesing of sheep.
(6) Administration of vaccines and other veterinary biologics.
(7) All surgical procedures necessary to treat an illness must
employ best management practices to minimize pain, stress and
suffering, with the use of appropriate and allowed anesthetics,
analgesics and sedatives.
(8) Monitoring of lameness and keeping records of the percent of
the herd or flock suffering from lameness and the causes.
(9) Ammonia levels in poultry houses must be less than 25 parts per
million indoors. When ammonia levels in poultry houses exceed 10 parts
per million, an operation must implement additional practices to reduce
the ammonia levels below 10 parts per million.
(b) When preventive practices and veterinary biologics are
inadequate to prevent sickness, an operation may administer synthetic
medications allowed under Sec. 205.603. Parasiticides allowed under
Sec. 205.603 may be used on:
(1) Breeder stock, when used prior to the last third of gestation
but not during lactation for progeny that are to be sold, labeled, or
represented as organically produced.
(2) Dairy stock, when used a minimum of 90 days prior to the
production of milk or milk products that are to be sold, labeled, or
represented as organic.
(3) Synthetic medications may be administered in the presence of
illness or to alleviate pain and suffering: Provided, that such
medications are allowed under Sec. 205.603.
(c) An organic livestock operation must not:
(1) Sell, label, or represent as organic any animal or edible
product derived from any animal treated with antibiotics, any substance
that contains a synthetic substance not allowed under Sec. 205.603, or
any substance that contains a nonsynthetic substance prohibited in
Sec. 205.604. Milk from animals undergoing treatment with synthetic
substances allowed under Sec. 205.603 having withholding time cannot
be sold as organic but may be fed to their own offspring. Milk from
animals undergoing treatment with prohibited substances cannot be sold
as organic or fed to organic livestock.
(2) Administer any animal drug in the absence of illness or to
alleviate pain or suffering; with the exception of vaccinations and
other veterinary biologics.
(3) Administer hormones for growth promotion, production or
reproduction.
(4) Administer synthetic parasiticides on a routine basis.
(5) Administer synthetic parasiticides to slaughter stock.
(6) Administer animal drugs in violation of the Federal Food, Drug,
and Cosmetic Act.
(7) Withhold medical treatment from a sick animal in an effort to
preserve its organic status. All appropriate medications must be used
to restore an animal to health when methods acceptable to organic
production fail. Livestock treated with a prohibited substance must be
clearly identified and neither the animal nor its products shall be
sold, labeled, or represented as organically produced.
(8) Withhold individual treatment designed to minimize pain and
suffering for injured, diseased or sick animals, which may include
forms of euthanasia as recommended by the American Veterinary Medical
Association.
(9) Neglect to identify and record treatment of sick and injured
animals in animal health records.
(10) Practice forced molting or withdrawal of feed to induce
molting.
(d) Organic livestock operations must have comprehensive plans to
minimize internal parasite problems in livestock. The plan will include
preventive measures such as pasture management, fecal monitoring, and
emergency measures in the event of a parasite outbreak. Parasite
control plans shall be approved by the certifying agent.
(e) Euthanasia. (1) Organic livestock operations must have written
plans for prompt, humane euthanasia for sick or injured livestock.
(2) The following methods of euthanasia are not permitted:
suffocation; blow to the head by blunt instrument; and the use of
equipment that crushes the neck, including killing pliers or burdizzo
clamps.
(3) Following a euthanasia procedure, livestock must be carefully
examined to ensure that they are dead.
0
4. Section 205.239 is revised to read as follows:
Sec. 205.239 Mammalian livestock living conditions.
(a) The producer of an organic livestock operation must establish
and maintain year-round livestock living conditions which accommodate
the health and natural behavior of animals, including:
(1) Year-round access for all animals to the outdoors, soil, shade,
shelter, exercise areas, fresh air, clean water for drinking, and
direct sunlight, suitable to the species, its stage of life, the
climate, and the environment: Except, that, animals may be temporarily
denied access to the outdoors in accordance with paragraphs (b) and (c)
of this section. Yards, feeding pads, and feedlots may be used to
provide ruminants with access to the outdoors during the non-grazing
season and supplemental feeding during the grazing season. Yards,
feeding pads, and feedlots shall be large enough to allow all ruminant
livestock occupying the yard, feeding pad, or feedlot to feed without
competition for food in a manner that maintains all animals in a good
body condition. Continuous total confinement of any animal indoors is
prohibited. Continuous total confinement of ruminants in yards, feeding
pads, and feedlots is prohibited.
(2) For all ruminants, management on pasture and daily grazing
throughout the grazing season(s) to meet the requirements of Sec.
205.237, except as provided for in paragraphs (b), (c), and (d) of this
section.
(3) Animals must be kept clean during all stages of life with the
use of appropriate, clean, dry bedding, as appropriate for the species.
When roughages are used as bedding, they must be organically produced
and handled in accordance with this part by certified operations except
as provided in Sec. 205.236(a)(2)(i).
(4) Shelter designed to allow for:
(i) Sufficient space and freedom to lie down in full lateral
recumbence, turn around, stand up, fully stretch their limbs without
touching other animals or the sides of the enclosure, and express
normal patterns of behavior;
(ii) Temperature level, ventilation, and air circulation suitable
to the species;
(iii) Reduction of potential for livestock injury; and
(iv) Areas for bedding and resting that are sufficiently large,
solidly built, and comfortable so that animals are kept clean, dry, and
free of lesions.
(5) The use of yards, feeding pads, feedlots and laneways that
shall be well-
[[Page 22007]]
drained, kept in good condition (including frequent removal of wastes),
and managed to prevent runoff of wastes and contaminated waters to
adjoining or nearby surface water and across property boundaries.
(6) Housing, pens, runs, equipment and utensils shall be properly
cleaned and disinfected as needed to prevent cross infection and build-
up of disease-carrying organisms.
(7) Dairy young stock may be housed in individual pens under the
following conditions:
(i) Until weaning, providing that they have enough room to turn
around, lie down, stretch out when lying down, get up, rest, and groom
themselves; individual animal pens shall be designed and located so
that each animal can see, smell, and hear other calves.
(ii) Dairy young stock shall be group-housed after weaning.
(iii) Dairy young stock over six months of age shall have access to
the outdoors at all times including access to pasture during the
grazing season, except as allowed under paragraph (c) of this section.
(8) Swine must be housed in a group, except:
(i) Sows may be housed individually at farrowing and during the
suckling period.
(ii) Boars.
(iii) Swine with documented instance of aggression or recovery from
an illness.
(9) Piglets shall not be kept on flat decks or in piglet cages.
(10) Exercise areas for swine, whether indoors or outdoors, must
permit rooting, including during temporary confinement events.
(11) In confined housing with stalls, at least one stall must be
provided for each animal in the facility at any given time. A cage must
not be used as a stall. For group-housed swine, the number of
individual feeding stalls may be less than the number of animals as
long as all animals are fed routinely over a 24-hour period.
(12) At least 50 percent of outdoor access space must be soil,
except when conditions threaten the soil or water quality, outdoor
access without soil must be provided temporarily.
(b) The producer of an organic livestock operation may provide
temporary confinement or shelter for an animal because of:
(1) Inclement weather;
(2) The animal's stage of life. Lactation is not a stage of life
that would exempt ruminants from any of the mandates set forth in this
part;
(3) Conditions under which the health, safety, or well-being of the
animal could be jeopardized;
(4) Risk to soil or water quality;
(5) Preventive healthcare procedures or for the treatment of
illness or injury (neither the various life stages nor lactation is an
illness or injury);
(6) Sorting or shipping animals and livestock sales, provided that
the animals shall be maintained under continuous organic management,
including organic feed, throughout the extent of their allowed
confinement;
(7) Breeding. Animals shall not be confined any longer than
necessary to perform the natural or artificial insemination. Animals
may not be confined to observe estrus; and
(8) 4-H, National FFA Organization, and other youth projects, for
no more than one week prior to a fair or other demonstration, through
the event and up to 24 hours after the animals have arrived home from
the event. These animals must have been maintained under continuous
organic management, including organic feed, during the extent of their
allowed confinement for the event. Notwithstanding the requirements in
paragraph (b)(6) of this section, facilities where 4-H, National FFA
Organization, and other youth events are held are not required to be
certified organic for the participating animals to be sold as organic,
provided all other organic management practices are followed.
(c) The producer of an organic livestock operation may, in addition
to the times permitted under paragraph (b) of this section, temporarily
deny a ruminant animal pasture or outdoor access under the following
conditions:
(1) One week at the end of a lactation for dry off (for denial of
access to pasture only), three weeks prior to parturition (birthing),
parturition, and up to one week after parturition;
(2) In the case of newborn dairy cattle for up to six months, after
which they must be on pasture during the grazing season and may no
longer be individually housed: Except, That, an animal shall not be
confined or tethered in a way that prevents the animal from lying down,
standing up, fully extending its limbs, and moving about freely;
(3) In the case of fiber bearing animals, for short periods for
shearing; and
(4) In the case of dairy animals, for short periods daily for
milking. Milking must be scheduled in a manner to ensure sufficient
grazing time to provide each animal with an average of at least 30
percent DMI from grazing throughout the grazing season. Milking
frequencies or duration practices cannot be used to deny dairy animals
pasture.
(d) Ruminant slaughter stock, typically grain finished, shall be
maintained on pasture for each day that the finishing period
corresponds with the grazing season for the geographical location.
Yards, feeding pads, or feedlots may be used to provide finish feeding
rations. During the finishing period, ruminant slaughter stock shall be
exempt from the minimum 30 percent DMI requirement from grazing. Yards,
feeding pads, or feedlots used to provide finish feeding rations shall
be large enough to allow all ruminant slaughter stock occupying the
yard, feeding pad, or feed lot to feed without crowding and without
competition for food. The finishing period shall not exceed one-fifth
(\1/5\) of the animal's total life or 120 days, whichever is shorter.
(e) The producer of an organic livestock operation must manage
manure in a manner that does not contribute to contamination of crops,
soil, or water by plant nutrients, heavy metals, or pathogenic
organisms and optimizes recycling of nutrients and must manage pastures
and other outdoor access areas in a manner that does not put soil or
water quality at risk.
0
5. Section 205.241 is added to read as follows:
Sec. 205.241 Avian living conditions.
(a) General requirement. An organic poultry operation must
establish and maintain year-round poultry living conditions which
accommodate the health and natural behavior of poultry, including:
Year-round access to outdoors; shade; shelter; exercise areas; fresh
air; direct sunlight; clean water for drinking; materials for dust
bathing; adequate outdoor space to escape from predators and aggressive
behaviors suitable to the species, its stage of life, the climate and
environment. Poultry may be temporarily denied access to the outdoors
in accordance with paragraph (d) of this section.
(b) Indoor space requirements. (1) All birds must be able to move
freely, and engage in natural behaviors.
(2) Ventilation must be adequate to prevent build-up of ammonia.
Ammonia levels must not exceed 25 parts per million. Operations must
monitor ammonia levels monthly. When ammonia levels exceed 10 parts per
million, operations must implement additional practices to reduce
ammonia levels below 10 parts per million.
(3) For layers and mature birds, artificial light may be used to
prolong the day length up to 16 hours. Artificial light intensity must
be lowered
[[Page 22008]]
gradually to encourage hens to move to perches or settle for the night.
Natural light must be sufficient indoors on sunny days so that an
inspector can read and write when all lights are turned off.
(4) The following types of flooring may be used in shelter for
avian species:
(i) Mesh or slatted flooring under drinking areas to provide
drainage.
(ii) Houses, excluding pasture housing, with slatted/mesh floors
must have 30 percent minimum of solid floor area available with
sufficient litter available for dust baths so that birds may freely
dust bathe without crowding.
(iii) Litter must be provided and maintained in a dry condition.
(5) Poultry houses must have sufficient exit areas, appropriately
distributed around the building, to ensure that all birds have ready
access to the outdoors.
(6) Flat roosts areas must allow birds to grip with their feet. Six
inches of perch space must be provided per bird. Perch space may
include the alighting rail in front of the nest boxes. All birds must
be able to perch at the same time except for multi-tiered facilities,
in which 55 percent of birds must be able to perch at the same time.
Facilities for species which do not perch do not need to have perch or
roost space.
(7) For layers, no more than 2.25 pounds of hen per square foot of
indoor space is allowed at any time, except:
(i) Pasture housing. No more than 4.5 pounds of hen per square foot
of indoor space.
(ii) Aviary housing. No more than 4.5 pounds of hen per square foot
of indoor space.
(iii) Slatted/mesh floor housing. No more than 3.75 pounds of hen
per square foot of indoor space.
(iv) Floor litter housing. No more than 3.0 pounds of hen per
square foot of indoor space.
(8) For pullets, no more than 3.0 pounds of pullet per square foot
of indoor space is allowed at any time.
(9) For turkeys, broilers and other meat type species, no more than
5.0 pounds of birds per square foot of indoor space is allowed at any
time.
(10) All birds must have access to scratch areas in the house.
(11) Poultry housing must be sufficiently spacious to allow all
birds to move freely, stand normally, stretch their wings and engage in
natural behaviors.
(c) Outdoor space requirements. (1) Outside access and door spacing
must be designed to promote and encourage outside access for all birds
on a daily basis. Producers must provide access to the outdoors at an
early age to encourage (train) birds to go outdoors. Outdoor areas must
have suitable enrichment to entice birds to go outside. Birds may be
temporarily denied access to the outdoors in accordance with paragraph
(d) of this section.
(2) Exit areas must be designed so that more than one bird can exit
at a time and all birds in the house can exit within one hour.
(3) For layers, no more than 2.25 pounds of bird per square foot of
outdoor space is allowed at any time.
(4) For pullets, no more than 3.0 pounds of pullet per square foot
of outdoor space is allowed at any time.
(5) For turkeys, broilers and other meat type species, no more than
5.0 pounds of bird per square foot of outdoor space is allowed at any
time.
(6) Space that has a solid roof overhead and is attached to the
structure providing indoor space is not outdoor access and must not be
included in the calculation of outdoor space.
(7) Shade may be provided by structures, trees, or other objects in
the environment.
(8) At least 50 percent of outdoor access space must be soil,
except when conditions threaten the soil or water quality, outdoor
access without soil must be provided temporarily.
(d) The producer of an organic poultry operation may temporarily
confine birds. Each instance of confinement must be recorded.
Operations may confine birds because of:
(1) Inclement weather, including when air temperatures are under 40
degrees F or above 90 degrees F.
(2) The animal's stage of life, including the first 4 weeks of life
for broilers and other meat type birds and the first 16 weeks of life
for pullets.
(3) Conditions under which the health, safety, or well-being of the
animal could be jeopardized, however the potential for disease outbreak
is not sufficient cause. A documented occurrence of a disease in the
region or relevant migratory pathway must be present in order to
confine birds.
(4) Risk to soil or water quality.
(5) Preventive healthcare procedures or for the treatment of
illness or injury (neither various life stages nor egg laying is an
illness or injury).
(6) Sorting or shipping birds and poultry sales. Provided the birds
are maintained under continuous organic management throughout the
extent of their allowed confinement.
(7) Nest box training. Birds shall not be confined any longer than
two weeks to teach the proper behavior.
(8) 4-H, National FFA Organization, and other youth projects, for
no more than one week prior to a fair or other demonstration, through
the event and up to 24 hours after the birds have arrived home at the
conclusion of the event. These birds must have been maintained under
continuous organic management, including organic feed, during the
extent of their allowed confinement for the event. Notwithstanding the
requirements in paragraph (d)(6) of this section, facilities where 4-H,
National FFA Organization, and other youth events are held are not
required to be certified organic for the participating birds to be sold
as organic, provided all other organic management practices are
followed.
(e) The producer of an organic poultry operation must manage manure
in a manner that does not contribute to contamination of crops, soil,
or water by plant nutrients, heavy metals, or pathogenic organisms and
optimizes recycling of nutrients and must manage outdoor access in a
manner that does not put soil or water quality at risk.
0
6. Section 205.242 is added to read as follows:
Sec. 205.242 Transport and slaughter.
(a) Transport. (1) Certified organic livestock must be clearly
identified as organic, transported in pens within the livestock trailer
clearly labeled for organic use and be contained in those pens for the
duration of the trip.
(2) All livestock must be fit for transport to auction or slaughter
facilities.
(i) Calves must have a dry navel cord and be able to stand and walk
without human assistance.
(ii) Sick, injured, weak, disabled, blind, and lame animals must
not be transported for sale or slaughter. Such animals may be medically
treated or euthanized.
(3) Adequate and season-appropriate ventilation is required for all
livestock trailers, shipping containers and any other mode of
transportation used to protect animals against cold and heat stresses.
(4) Bedding must be provided on trailer floors and in holding pens
as needed to keep livestock clean, dry, and comfortable during
transportation and prior to slaughter. Poultry crates are exempt from
the bedding requirement. When roughages are used for bedding, they must
have been organically produced and handled by a certified organic
operation(s).
(5) Arrangements for water and organic feed must be made if
transport time exceeds twelve hours.
(i) Organic livestock operations must transport livestock in
compliance with the Federal Twenty-Eight Hour Law (49
[[Page 22009]]
U.S.C. 80502) and the regulations at 9 CFR 89.1 through 89.5.
(ii) The producer or handler of an organic livestock operation must
provide all non-compliant records and subsequent corrective action
related to livestock transport during the annual inspection.
(6) Organic operations must have in place emergency plans to
address possible animal welfare problems that might occur during
transport.
(b) Mammalian slaughter. (1) Organic operations that slaughter
organic livestock must be in compliance with the Federal Meat
Inspection Act (21 U.S.C. 603(b) and 21 U.S.C. 610(b) and the
regulations at 9 CFR part 313) regarding humane handling and slaughter
of livestock.
(2) Organic operations that slaughter organic exotic animals must
be in compliance with the Agricultural Marketing Act of 1946 (7 U.S.C.
1621, et seq.) and the regulations at 9 CFR parts 313 and 352 regarding
the humane handling and slaughter of exotic animals.
(3) Organic operations that slaughter organic livestock must
provide all non-compliant records related to humane handling and
slaughter issued by the controlling national, federal or state
authority and all records of subsequent corrective actions during the
annual organic inspection.
(c) Avian slaughter. (1) Organic operations that slaughter organic
poultry must be in compliance with the Poultry Products Inspection Act
requirements (21 U.S.C. 453(g)(5) and the regulations at 9 CFR
381.1(b)(v), 381.90, and 381.65(b)).
(2) Organic operations that slaughter organic poultry must provide
all non-compliant records related to the use of good manufacturing
practices in connection with slaughter issued by the controlling
national, federal or state authority and all records of subsequent
corrective actions during the annual organic inspection.
(3) Organic operations that slaughter organic poultry, but are
exempt from or not covered by the requirements of the Poultry Products
Inspection Act, must ensure that:
(i) No lame birds may be shackled, hung or carried by their legs;
(ii) All birds shackled on a chain or automated system must be
stunned prior to exsanguination; and
(iii) All birds must be irreversibly insensible prior to being
placed in the scalding tank.
Dated: April 4, 2016.
Elanor Starmer,
Administrator, Agricultural Marketing Service.
[FR Doc. 2016-08023 Filed 4-12-16; 8:45 am]
BILLING CODE 3410-02-P