The Scotts Co. and Monsanto Co.; Notice of Intent To Prepare an Environmental Impact Statement for Determination of Nonregulated Status of Glyphosate-Resistant Creeping Bentgrass, 51174-51176 [2016-18421]
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[FR Doc. 2016–17375 Filed 8–2–16; 8:45 am]
BILLING CODE M
DEPARTMENT OF AGRICULTURE
Animal and Plant Health Inspection
Service
[Docket No. APHIS–2015–0096]
The Scotts Co. and Monsanto Co.;
Notice of Intent To Prepare an
Environmental Impact Statement for
Determination of Nonregulated Status
of Glyphosate-Resistant Creeping
Bentgrass
Animal and Plant Health
Inspection Service, USDA.
ACTION: Notice.
AGENCY:
We are announcing that the
Animal and Plant Health Inspection
Service intends to prepare an
environmental impact statement (EIS) to
evaluate the environmental impacts that
may result from the approval of a new
petition for nonregulated status of
glyphosate-resistant creeping bentgrass
(Agrostis stolonifera L.) (event ASR368)
from The Scotts Company and
Monsanto Company following
withdrawal of their 2003 petition. Issues
to be addressed in the EIS include the
potential environmental impacts to
managed natural and non-agricultural
lands, agricultural production systems,
the physical environment, biological
resources, human health,
socioeconomics, federally listed
threatened or endangered species, and
cultural or historic resources. This
notice of intent (NOI) replaces a
SUMMARY:
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Sfmt 4703
previous NOI published in September
2004 and initiates a fresh public scoping
process and stakeholder engagement for
the purpose of preparing an EIS. We are
requesting public comments to further
frame the scope of the issues to be
included in the EIS, including
alternatives and environmental impacts.
DATES: We will consider all comments
that we receive on or before September
2, 2016.
ADDRESSES: You may submit comments
by either of the following methods:
• Federal eRulemaking Portal: Go to
https://www.regulations.gov/
#!docketDetail;D=APHIS-2015-0096.
• Postal Mail/Commercial Delivery:
Send your comment to Docket No.
APHIS–2015–0096, Regulatory Analysis
and Development, PPD, APHIS, Station
3A–03.8, 4700 River Road, Unit 118,
Riverdale, MD 20737–1238.
Supporting documents and any
comments we receive on this docket
may be viewed at https://
www.regulations.gov/
#!docketDetail;D=APHIS-2015-0096 or
in our reading room, which is located in
Room 1141 of the USDA South
Building, 14th Street and Independence
Avenue SW., Washington, DC. Normal
reading room hours are 8 a.m. to 4:30
p.m., Monday through Friday, except
holidays. To be sure someone is there to
help you, please call (202) 799–7039
before coming.
Other Information: We have retained
the public comments submitted in
response to previous notices on this
subject. Due to the amount of time that
has passed since these comments were
originally submitted, some of the
comments may need to be updated with
newer information. These earlier
comments will be assessed as long as
they reflect conditions in the current
agricultural and natural environment
and are relevant to issues studied in the
environmental impact statement (EIS).
We welcome new submissions offering
scientific facts, professional
observations, and perspectives about
how to evaluate any new material
available for analysis in the EIS.
FOR FURTHER INFORMATION CONTACT: Dr.
Sidney Abel, Assistant Deputy
Administrator, Biotechnology
Regulatory Services, APHIS, 4700 River
Road, Unit 147, Riverdale, MD 20737–
1238; (301) 851–3896, email:
Sidney.w.abel@aphis.usda.gov. To
obtain copies of the petition, contact
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Federal Register / Vol. 81, No. 149 / Wednesday, August 3, 2016 / Notices
asabaliauskas on DSK3SPTVN1PROD with NOTICES
Ms. Cindy Eck at (301) 851–3882, email:
cynthia.a.eck@aphis.usda.gov.
SUPPLEMENTARY INFORMATION:
Background
Under the authority of the plant pest
provisions of the Plant Protection Act
(PPA), as amended (7 U.S.C. 7701 et
seq.), the regulations in 7 CFR part 340,
‘‘Introduction of Organisms and
Products Altered or Produced Through
Genetic Engineering Which Are Plant
Pests or Which There Is Reason to
Believe Are Plant Pests,’’ regulate,
among other things, the introduction
(importation, interstate movement, or
release into the environment) of
organisms and products altered or
produced through genetic engineering
that are plant pests or that there is
reason to believe are plant pests. Such
genetically engineered organisms and
products are considered ‘‘regulated
articles.’’
The regulations in 7 CFR 340.6(a)
provide that any person may submit a
petition to the Animal and Plant Health
Inspection Service (APHIS) of the U.S.
Department of Agriculture (USDA)
seeking a determination that an article
should not be regulated under 7 CFR
part 340. Paragraphs (b) and (c) of
§ 340.6 describe the form that a petition
for a determination of nonregulated
status must take and the information
that must be included in the petition.
APHIS received a new petition from
The Scotts Company (Scotts) and
Monsanto Company (Monsanto), APHIS
Petition Number 15–300–01p, seeking a
determination of nonregulated status for
creeping bentgrass (Agrostis stolonifera
L.) that is resistant to glyphosate,
identified as event ASR368 or Roundup
Ready® creeping bentgrass. The petition
states that this regulated article is
unlikely to pose a plant pest risk and,
therefore, should not be a regulated
article under APHIS’ regulations in 7
CFR part 340. These part 340
regulations are authorized by the PPA to
prevent the introduction or
dissemination of plant pests, and the
decision on whether or not to approve
the petition request will be based on
this standard.
A total of six notices have been
published in the Federal Register
related to the current and previous
petition. The first notice,1 published on
January 5, 2004, advised the public of
receipt of petition 03–104–01p and
solicited comments from the public on
the petition. The second notice,2
1 Docket No. 03–101–1 published on January 5,
2004, Vol. 69 No. 2; https://www.aphis.usda.gov/brs/
fedregister/BRS_20040105a.pdf.
2 Docket No. 03–101–2 published on September
24, 2004, Vol. 69 No. 185; https://
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published on September 24, 2004,
announced APHIS’ intent to prepare an
environmental impact statement (EIS) in
accordance with the National
Environmental Policy Act of 1969
(NEPA), as amended (42 U.S.C. 4321 et
seq.) to provide the Agency with a
review and analysis of potential
environmental impacts associated with
the petition request. The third notice,3
published on November 18, 2004,
reopened the comment period on the
second notice and announced APHIS’
intent to hold a public meeting to
promote further public involvement in
the development of the EIS. On April
11, 2005, a fourth notice 4 invited the
public to attend public EIS scoping
sessions in May 2005 in Maryland and
Oregon. The fifth notice,5 published on
October 12, 2005, requested information
from the public on glyphosate use and
weed management in nonagricultural
lands. The sixth notice 6 published on
January 8, 2016, advised the public of
receipt of the current petition (15–300–
01p) and solicited comment from the
public, including comments related to
the environmental impacts associated
with the potential deregulation. APHIS
received 168 comments during the 60day comment period from a variety of
stakeholders. These comments can be
viewed on Regulations.gov (see
ADDRESSES above). In total, more than
1,000 comments were submitted to
APHIS during the public comment
periods and at the public meetings.
Creeping bentgrass is a perennial
outcrossing species, thus major issues
raised by commenters focused on plant
biology and agronomic consequences of
it outcrossing to weedy species that may
impact agriculture and/or natural
ecosystems. Issues raised specifically
included the distribution of seed and
pollen from creeping bentgrass,
hybridization with native or naturalized
species, the need for additional
chemicals to control glyphosateresistant grass species that may develop
due to hybridization with creeping
bentgrass, increased weediness, the
ability of creeping bentgrass to establish
without cultivation, potential impacts
www.aphis.usda.gov/brs/fedregister/BRS_
20040924a.pdf.
3 Docket No. 03–101–3 published on November
18, 2004, Vol. 69 No. 222; https://
www.aphis.usda.gov/brs/fedregister/BRS_
20041118a.pdf.
4 Docket No. 03–101–4 published on April 11,
2005, Vol. 70 No. 68; https://www.aphis.usda.gov/
brs/fedregister/BRS_20050411a.pdf.
5 Docket No. 03–101–5 published on October 12,
2005, Vol. 70 No. 196 https://www.aphis.usda.gov/
brs/fedregister/BRS_20051012a.pdf.
6 Docket No. APHIS–2015–0096 published on
January 8, 2016, Vol. 81, No. 5 https://
www.regulations.gov/docket?D=APHIS-2015-0096.
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51175
on agricultural irrigation canals, and the
development of herbicide-resistant
weeds.
APHIS published a preliminary risk
assessment 7 as part of its evaluation of
the petition request under 7 CFR part
340 and also a white paper 8 to support
the preliminary risk assessment,
providing a summary of the biology and
ecology of creeping bentgrass. These
documents were published in 2005 and
2006, respectively. The preliminary risk
assessment concluded that there is a
possibility that ASR368 or hybrids of
ASR368 could become established in
various urban or rural and natural areas.
At the time the preliminary risk
assessment was written, there were at
least 13 naturalized or native species
with which creeping bentgrass could
hybridize in the United States. The
white paper presented biological and
ecological information on creeping
bentgrass, including its distribution in
the United States and Canada, and the
ability for it to form hybrids by natural
interspecific crosses or potentially do
so. APHIS will further investigate in the
EIS whether or not there are any
additional species that hybridize with
A. stolonifera and associated
environmental impacts. APHIS will
review the 2005 preliminary risk
assessment, updating it to reflect
changes in turfgrass science and the
current document standards of APHIS.
To fulfill its section 7 requirements
under the Endangered Species Act,
APHIS entered into consultation with
the U.S. Fish and Wildlife Services
(USFWS) on the first petition (03–104–
01p). Subsequent to the withdrawal of
the petition in September 2015, APHIS
notified the USFWS that it was
terminating the consultation on the
petition. Information provided during
the comment period on this notice of
intent (NOI) will be used to update
APHIS’ assessment of the effects on
threatened and endangered species and
critical habitat (collectively referred to
as listed resources) and, as appropriate
and required by statute, will be shared
with the USFWS as part of APHIS’
commitment to protect listed resources.
If APHIS enters into formal
consultation, the USFWS will make a
determination about whether
nonregulated status of ASR368 will
jeopardize the continued existence of
federally listed plant and animal
species.
Under NEPA, Federal agencies must
examine the potential environmental
7 https://www.aphis.usda.gov/brs/aphisdocs/03_
10401p_ra.pdf.
8 https://www.aphis.usda.gov/peer_review/
downloads/cbg-wpFinal.pdf.
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Federal Register / Vol. 81, No. 149 / Wednesday, August 3, 2016 / Notices
impacts of proposed major Federal
actions significantly affecting the
quality of the human environment
before taking that action. In accordance
with NEPA, the regulations of the
Council on Environmental Quality for
implementing the procedural provisions
of NEPA (40 CFR parts 1500–1508),
USDA regulations implementing NEPA
(7 CFR part 1b), and APHIS’ NEPA
Implementing Procedures (7 CFR part
372) require that for each submitted
petition, APHIS consider the potential
environmental impacts of a request for
nonregulated status either by preparing
an environmental assessment (EA) or an
EIS. APHIS has decided to prepare an
EIS to better understand the degree of
uncertainty for environmental impacts
associated with the deregulation of
ASR368. This uncertainty is primarily
related to four issues that will be
studied in the EIS: (1) Potential for
hybridization and introgression, (2)
management of volunteer ASR368, (3)
potential effects on weed management
practices, and (4) potential inter-related
trade and economic impacts. The EIS
will examine the broad and cumulative
environmental impacts of the requested
deregulation of ASR368, including
potential impacts of the proposed action
on the human environment and
alternative courses of action.
asabaliauskas on DSK3SPTVN1PROD with NOTICES
Alternatives
The Federal action being considered
is whether to approve the petition for
nonregulated status of ASR368. This
notice identifies reasonable alternatives
and potential issues that may be studied
in the EIS. We are requesting public
input and comment on the range of
alternatives, and on the environmental
impacts and issues stated in this NOI as
well as suggestions for additional
alternatives for consideration and new
impacts or issues to be evaluated in the
EIS for the petition.
The EIS will consider a range of
reasonable alternatives. APHIS is
currently considering two alternatives:
(1) Take no action, i.e., APHIS would
not change the regulatory status of the
glyphosate-resistant creeping bentgrass
event ASR368 and such plants would
continue to be regulated articles, or (2)
approve the petition for determination
of nonregulated status of ASR368.
Environmental Issues for Consideration
We have identified the following
potential environmental issues for
consideration in the EIS: Impacts on
managed natural and non-agricultural
lands; on agricultural production
systems; on the physical environment;
on biological resources; on human
health; on socioeconomic issues; on
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federally listed threatened or
endangered species; and on cultural or
historic resources. In addition to
providing input and comment on these
issues, we are also requesting that the
public provide information on the
following questions during the comment
period:
Potential for Hybridization and
Introgression
• What are the weed species in
potential affected environments with
which ASR368 may hybridize and
introgress? What evidence is there that
this would or could occur?
• If introgression was to occur, would
the inability to identify introgression of
ASR368 lead to stand failures or
increasing costs for production of grass
seed crops when compared to nongenetically engineered (non-GE)
creeping bentgrass? What evidence is
there that would support stand failure
or increased costs.
Management of Volunteer ASR368
• Compared to non-GE creeping
bentgrass and other grasses, would
deregulation of ASR368 result in its
establishment and persistence in
situations where it is unwanted,
unintended, or unexpected (e.g.,
agricultural irrigation canals, habitat
restoration, riparian areas, wetlands, or
grasslands)?
• When compared to non-GE creeping
bentgrass, could the spread of ASR368
or its relatives to areas where it is
unwanted, unintended, or unexpected
potentially result in adverse effects on
native species or habitats, including
threatened and endangered species and
their habitats? What supporting
information is available to conclude an
adverse effect?
Potential Effects on Weed Management
Practices
• Would the presence of volunteer
ASR368 increase the costs and
complexity of weed control for growers
of non-GE creeping bentgrass and other
crops? What evidence is there to
support this conclusion?
• What potential changes of
agronomic practices may occur as a
result of the presence of ASR368
agricultural crops, including crop
rotation practices, herbicide use, and
tillage?
Potential Trade and Economic Impacts
• What potential impacts on GE-free
grass seed exports could result from the
presence of ASR368?
• What potential impacts on
conventional and organic crops could
result from the presence of ARS368?
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Comments that identify other issues
or alternatives that should be
considered for examination in the EIS
would be especially helpful. All
comments received during the scoping
period will be carefully considered in
developing the final scope of the EIS.
Upon completion of the draft EIS, a
notice announcing its availability and
an opportunity to comment on it will be
published in the Federal Register.
Authority: 7 U.S.C. 7701–7772 and 7781–
7786; 31 U.S.C. 9701; 7 CFR 2.22, 2.80, and
371.3.
Done in Washington, DC, this 27th day of
July 2016.
Kevin Shea,
Administrator, Animal and Plant Health
Inspection Service.
[FR Doc. 2016–18421 Filed 8–2–16; 8:45 am]
BILLING CODE P
DEPARTMENT OF AGRICULTURE
Animal and Plant Health Inspection
Service
[Docket No. APHIS–2016–0046]
Secretary’s Advisory Committee on
Animal Health; Intent To Renew
Animal and Plant Health
Inspection Service, USDA.
ACTION: Notice of intent.
AGENCY:
We are giving notice that the
Secretary of Agriculture intends to
renew the charter for the Secretary’s
Advisory Committee on Animal Health
for a 2-year period. The Secretary has
determined that the Committee is
necessary and in the public interest.
FOR FURTHER INFORMATION CONTACT: Dr.
Diane L. Sutton, Designated Federal
Officer, VS, APHIS, 4700 River Road
Unit 43, Riverdale, MD 20737; (301)
851–3509.
SUPPLEMENTARY INFORMATION: Pursuant
to the Federal Advisory Committee Act
(FACA, 5 U.S.C. App.), notice is hereby
given that the Secretary of Agriculture
intends to renew the Secretary’s
Advisory Committee on Animal Health
(the Committee) for 2 years. The term
for the renewed charter will extend from
August 8, 2016, to August 7, 2018.
The Committee advises the Secretary
on strategies, policies, and programs to
prevent, control, or eradicate animal
diseases. The Committee considers
agricultural initiatives of national scope
and significance and advises on matters
of public health, conservation of
national resources, stability of livestock
economies, livestock disease
management and traceability strategies,
prioritizing animal health imperatives,
SUMMARY:
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Agencies
[Federal Register Volume 81, Number 149 (Wednesday, August 3, 2016)]
[Notices]
[Pages 51174-51176]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2016-18421]
=======================================================================
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DEPARTMENT OF AGRICULTURE
Animal and Plant Health Inspection Service
[Docket No. APHIS-2015-0096]
The Scotts Co. and Monsanto Co.; Notice of Intent To Prepare an
Environmental Impact Statement for Determination of Nonregulated Status
of Glyphosate-Resistant Creeping Bentgrass
AGENCY: Animal and Plant Health Inspection Service, USDA.
ACTION: Notice.
-----------------------------------------------------------------------
SUMMARY: We are announcing that the Animal and Plant Health Inspection
Service intends to prepare an environmental impact statement (EIS) to
evaluate the environmental impacts that may result from the approval of
a new petition for nonregulated status of glyphosate-resistant creeping
bentgrass (Agrostis stolonifera L.) (event ASR368) from The Scotts
Company and Monsanto Company following withdrawal of their 2003
petition. Issues to be addressed in the EIS include the potential
environmental impacts to managed natural and non-agricultural lands,
agricultural production systems, the physical environment, biological
resources, human health, socioeconomics, federally listed threatened or
endangered species, and cultural or historic resources. This notice of
intent (NOI) replaces a previous NOI published in September 2004 and
initiates a fresh public scoping process and stakeholder engagement for
the purpose of preparing an EIS. We are requesting public comments to
further frame the scope of the issues to be included in the EIS,
including alternatives and environmental impacts.
DATES: We will consider all comments that we receive on or before
September 2, 2016.
ADDRESSES: You may submit comments by either of the following methods:
Federal eRulemaking Portal: Go to https://www.regulations.gov/#!docketDetail;D=APHIS-2015-0096.
Postal Mail/Commercial Delivery: Send your comment to
Docket No. APHIS-2015-0096, Regulatory Analysis and Development, PPD,
APHIS, Station 3A-03.8, 4700 River Road, Unit 118, Riverdale, MD 20737-
1238.
Supporting documents and any comments we receive on this docket may
be viewed at https://www.regulations.gov/#!docketDetail;D=APHIS-2015-
0096 or in our reading room, which is located in Room 1141 of the USDA
South Building, 14th Street and Independence Avenue SW., Washington,
DC. Normal reading room hours are 8 a.m. to 4:30 p.m., Monday through
Friday, except holidays. To be sure someone is there to help you,
please call (202) 799-7039 before coming.
Other Information: We have retained the public comments submitted
in response to previous notices on this subject. Due to the amount of
time that has passed since these comments were originally submitted,
some of the comments may need to be updated with newer information.
These earlier comments will be assessed as long as they reflect
conditions in the current agricultural and natural environment and are
relevant to issues studied in the environmental impact statement (EIS).
We welcome new submissions offering scientific facts, professional
observations, and perspectives about how to evaluate any new material
available for analysis in the EIS.
FOR FURTHER INFORMATION CONTACT: Dr. Sidney Abel, Assistant Deputy
Administrator, Biotechnology Regulatory Services, APHIS, 4700 River
Road, Unit 147, Riverdale, MD 20737-1238; (301) 851-3896, email:
Sidney.w.abel@aphis.usda.gov. To obtain copies of the petition, contact
[[Page 51175]]
Ms. Cindy Eck at (301) 851-3882, email: cynthia.a.eck@aphis.usda.gov.
SUPPLEMENTARY INFORMATION:
Background
Under the authority of the plant pest provisions of the Plant
Protection Act (PPA), as amended (7 U.S.C. 7701 et seq.), the
regulations in 7 CFR part 340, ``Introduction of Organisms and Products
Altered or Produced Through Genetic Engineering Which Are Plant Pests
or Which There Is Reason to Believe Are Plant Pests,'' regulate, among
other things, the introduction (importation, interstate movement, or
release into the environment) of organisms and products altered or
produced through genetic engineering that are plant pests or that there
is reason to believe are plant pests. Such genetically engineered
organisms and products are considered ``regulated articles.''
The regulations in 7 CFR 340.6(a) provide that any person may
submit a petition to the Animal and Plant Health Inspection Service
(APHIS) of the U.S. Department of Agriculture (USDA) seeking a
determination that an article should not be regulated under 7 CFR part
340. Paragraphs (b) and (c) of Sec. 340.6 describe the form that a
petition for a determination of nonregulated status must take and the
information that must be included in the petition.
APHIS received a new petition from The Scotts Company (Scotts) and
Monsanto Company (Monsanto), APHIS Petition Number 15-300-01p, seeking
a determination of nonregulated status for creeping bentgrass (Agrostis
stolonifera L.) that is resistant to glyphosate, identified as event
ASR368 or Roundup Ready[supreg] creeping bentgrass. The petition states
that this regulated article is unlikely to pose a plant pest risk and,
therefore, should not be a regulated article under APHIS' regulations
in 7 CFR part 340. These part 340 regulations are authorized by the PPA
to prevent the introduction or dissemination of plant pests, and the
decision on whether or not to approve the petition request will be
based on this standard.
A total of six notices have been published in the Federal Register
related to the current and previous petition. The first notice,\1\
published on January 5, 2004, advised the public of receipt of petition
03-104-01p and solicited comments from the public on the petition. The
second notice,\2\ published on September 24, 2004, announced APHIS'
intent to prepare an environmental impact statement (EIS) in accordance
with the National Environmental Policy Act of 1969 (NEPA), as amended
(42 U.S.C. 4321 et seq.) to provide the Agency with a review and
analysis of potential environmental impacts associated with the
petition request. The third notice,\3\ published on November 18, 2004,
reopened the comment period on the second notice and announced APHIS'
intent to hold a public meeting to promote further public involvement
in the development of the EIS. On April 11, 2005, a fourth notice \4\
invited the public to attend public EIS scoping sessions in May 2005 in
Maryland and Oregon. The fifth notice,\5\ published on October 12,
2005, requested information from the public on glyphosate use and weed
management in nonagricultural lands. The sixth notice \6\ published on
January 8, 2016, advised the public of receipt of the current petition
(15-300-01p) and solicited comment from the public, including comments
related to the environmental impacts associated with the potential
deregulation. APHIS received 168 comments during the 60-day comment
period from a variety of stakeholders. These comments can be viewed on
Regulations.gov (see ADDRESSES above). In total, more than 1,000
comments were submitted to APHIS during the public comment periods and
at the public meetings.
---------------------------------------------------------------------------
\1\ Docket No. 03-101-1 published on January 5, 2004, Vol. 69
No. 2; https://www.aphis.usda.gov/brs/fedregister/BRS_20040105a.pdf.
\2\ Docket No. 03-101-2 published on September 24, 2004, Vol. 69
No. 185; https://www.aphis.usda.gov/brs/fedregister/BRS_20040924a.pdf.
\3\ Docket No. 03-101-3 published on November 18, 2004, Vol. 69
No. 222; https://www.aphis.usda.gov/brs/fedregister/BRS_20041118a.pdf.
\4\ Docket No. 03-101-4 published on April 11, 2005, Vol. 70 No.
68; https://www.aphis.usda.gov/brs/fedregister/BRS_20050411a.pdf.
\5\ Docket No. 03-101-5 published on October 12, 2005, Vol. 70
No. 196 https://www.aphis.usda.gov/brs/fedregister/BRS_20051012a.pdf.
\6\ Docket No. APHIS-2015-0096 published on January 8, 2016,
Vol. 81, No. 5 https://www.regulations.gov/docket?D=APHIS-2015-0096.
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Creeping bentgrass is a perennial outcrossing species, thus major
issues raised by commenters focused on plant biology and agronomic
consequences of it outcrossing to weedy species that may impact
agriculture and/or natural ecosystems. Issues raised specifically
included the distribution of seed and pollen from creeping bentgrass,
hybridization with native or naturalized species, the need for
additional chemicals to control glyphosate-resistant grass species that
may develop due to hybridization with creeping bentgrass, increased
weediness, the ability of creeping bentgrass to establish without
cultivation, potential impacts on agricultural irrigation canals, and
the development of herbicide-resistant weeds.
APHIS published a preliminary risk assessment \7\ as part of its
evaluation of the petition request under 7 CFR part 340 and also a
white paper \8\ to support the preliminary risk assessment, providing a
summary of the biology and ecology of creeping bentgrass. These
documents were published in 2005 and 2006, respectively. The
preliminary risk assessment concluded that there is a possibility that
ASR368 or hybrids of ASR368 could become established in various urban
or rural and natural areas. At the time the preliminary risk assessment
was written, there were at least 13 naturalized or native species with
which creeping bentgrass could hybridize in the United States. The
white paper presented biological and ecological information on creeping
bentgrass, including its distribution in the United States and Canada,
and the ability for it to form hybrids by natural interspecific crosses
or potentially do so. APHIS will further investigate in the EIS whether
or not there are any additional species that hybridize with A.
stolonifera and associated environmental impacts. APHIS will review the
2005 preliminary risk assessment, updating it to reflect changes in
turfgrass science and the current document standards of APHIS.
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\7\ https://www.aphis.usda.gov/brs/aphisdocs/03_10401p_ra.pdf.
\8\ https://www.aphis.usda.gov/peer_review/downloads/cbg-wpFinal.pdf.
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To fulfill its section 7 requirements under the Endangered Species
Act, APHIS entered into consultation with the U.S. Fish and Wildlife
Services (USFWS) on the first petition (03-104-01p). Subsequent to the
withdrawal of the petition in September 2015, APHIS notified the USFWS
that it was terminating the consultation on the petition. Information
provided during the comment period on this notice of intent (NOI) will
be used to update APHIS' assessment of the effects on threatened and
endangered species and critical habitat (collectively referred to as
listed resources) and, as appropriate and required by statute, will be
shared with the USFWS as part of APHIS' commitment to protect listed
resources. If APHIS enters into formal consultation, the USFWS will
make a determination about whether nonregulated status of ASR368 will
jeopardize the continued existence of federally listed plant and animal
species.
Under NEPA, Federal agencies must examine the potential
environmental
[[Page 51176]]
impacts of proposed major Federal actions significantly affecting the
quality of the human environment before taking that action. In
accordance with NEPA, the regulations of the Council on Environmental
Quality for implementing the procedural provisions of NEPA (40 CFR
parts 1500-1508), USDA regulations implementing NEPA (7 CFR part 1b),
and APHIS' NEPA Implementing Procedures (7 CFR part 372) require that
for each submitted petition, APHIS consider the potential environmental
impacts of a request for nonregulated status either by preparing an
environmental assessment (EA) or an EIS. APHIS has decided to prepare
an EIS to better understand the degree of uncertainty for environmental
impacts associated with the deregulation of ASR368. This uncertainty is
primarily related to four issues that will be studied in the EIS: (1)
Potential for hybridization and introgression, (2) management of
volunteer ASR368, (3) potential effects on weed management practices,
and (4) potential inter-related trade and economic impacts. The EIS
will examine the broad and cumulative environmental impacts of the
requested deregulation of ASR368, including potential impacts of the
proposed action on the human environment and alternative courses of
action.
Alternatives
The Federal action being considered is whether to approve the
petition for nonregulated status of ASR368. This notice identifies
reasonable alternatives and potential issues that may be studied in the
EIS. We are requesting public input and comment on the range of
alternatives, and on the environmental impacts and issues stated in
this NOI as well as suggestions for additional alternatives for
consideration and new impacts or issues to be evaluated in the EIS for
the petition.
The EIS will consider a range of reasonable alternatives. APHIS is
currently considering two alternatives: (1) Take no action, i.e., APHIS
would not change the regulatory status of the glyphosate-resistant
creeping bentgrass event ASR368 and such plants would continue to be
regulated articles, or (2) approve the petition for determination of
nonregulated status of ASR368.
Environmental Issues for Consideration
We have identified the following potential environmental issues for
consideration in the EIS: Impacts on managed natural and non-
agricultural lands; on agricultural production systems; on the physical
environment; on biological resources; on human health; on socioeconomic
issues; on federally listed threatened or endangered species; and on
cultural or historic resources. In addition to providing input and
comment on these issues, we are also requesting that the public provide
information on the following questions during the comment period:
Potential for Hybridization and Introgression
What are the weed species in potential affected
environments with which ASR368 may hybridize and introgress? What
evidence is there that this would or could occur?
If introgression was to occur, would the inability to
identify introgression of ASR368 lead to stand failures or increasing
costs for production of grass seed crops when compared to non-
genetically engineered (non-GE) creeping bentgrass? What evidence is
there that would support stand failure or increased costs.
Management of Volunteer ASR368
Compared to non-GE creeping bentgrass and other grasses,
would deregulation of ASR368 result in its establishment and
persistence in situations where it is unwanted, unintended, or
unexpected (e.g., agricultural irrigation canals, habitat restoration,
riparian areas, wetlands, or grasslands)?
When compared to non-GE creeping bentgrass, could the
spread of ASR368 or its relatives to areas where it is unwanted,
unintended, or unexpected potentially result in adverse effects on
native species or habitats, including threatened and endangered species
and their habitats? What supporting information is available to
conclude an adverse effect?
Potential Effects on Weed Management Practices
Would the presence of volunteer ASR368 increase the costs
and complexity of weed control for growers of non-GE creeping bentgrass
and other crops? What evidence is there to support this conclusion?
What potential changes of agronomic practices may occur as
a result of the presence of ASR368 agricultural crops, including crop
rotation practices, herbicide use, and tillage?
Potential Trade and Economic Impacts
What potential impacts on GE-free grass seed exports could
result from the presence of ASR368?
What potential impacts on conventional and organic crops
could result from the presence of ARS368?
Comments that identify other issues or alternatives that should be
considered for examination in the EIS would be especially helpful. All
comments received during the scoping period will be carefully
considered in developing the final scope of the EIS. Upon completion of
the draft EIS, a notice announcing its availability and an opportunity
to comment on it will be published in the Federal Register.
Authority: 7 U.S.C. 7701-7772 and 7781-7786; 31 U.S.C. 9701; 7
CFR 2.22, 2.80, and 371.3.
Done in Washington, DC, this 27th day of July 2016.
Kevin Shea,
Administrator, Animal and Plant Health Inspection Service.
[FR Doc. 2016-18421 Filed 8-2-16; 8:45 am]
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