Supplemental Requirements for Importation of Fresh Citrus From Colombia Into the United States, 11279-11281 [2019-05679]
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Notices
Federal Register
Vol. 84, No. 58
Tuesday, March 26, 2019
This section of the FEDERAL REGISTER
contains documents other than rules or
proposed rules that are applicable to the
public. Notices of hearings and investigations,
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DEPARTMENT OF AGRICULTURE
Animal and Plant Health Inspection
Service
[Docket No. APHIS–2017–0074]
Supplemental Requirements for
Importation of Fresh Citrus From
Colombia Into the United States
Animal and Plant Health
Inspection Service, USDA.
ACTION: Notice of affirmation of
supplemental requirements.
jbell on DSK30RV082PROD with NOTICES
AGENCY:
SUMMARY: We are affirming the
supplemental requirements we added
for the importation of fresh sweet
orange, grapefruit, mandarin,
clementine, and tangerine fruit from
Colombia into the United States. In a
previous notice, we made available to
the public for review and comment
supplemental requirements for
mitigating pest risks posed by the
importation of those commodities from
Colombia into the United States. We
also made available a pest risk
assessment and commodity import
evaluation document. After reviewing
the comments we received on those
documents, we are affirming the
supplemental requirements we added to
the Fruits and Vegetables Import
Requirements database.
DATES: These requirements were
authorized for use on fresh sweet
orange, grapefruit, mandarin,
clementine, and tangerine fruit from
Colombia beginning February 6, 2018.
FOR FURTHER INFORMATION CONTACT: Ms.
Claudia Ferguson, Senior Regulatory
Policy Specialist, Regulatory
Coordination and Compliance, PPQ,
APHIS, 4700 River Road, Unit 133,
Riverdale, MD 20737–1236; (301) 851–
2352.
SUPPLEMENTARY INFORMATION: Under the
regulations in ‘‘Subpart L—Fruits and
Vegetables’’ (7 CFR 319.56–1 through
319.56–12, referred to below as the
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17:54 Mar 25, 2019
Jkt 247001
regulations), the Animal and Plant
Health Inspection Service (APHIS) of
the United States Department of
Agriculture (USDA) prohibits or
restricts the importation of fruits and
vegetables into the United States from
certain parts of the world in an effort to
prevent plant pests from being
introduced into and spread within the
United States.
Section 319.56–3, which includes
general import requirements for fruits
and vegetables, authorizes the
importation of fresh sweet orange,
grapefruit, mandarin, clementine, and
tangerine fruit from Colombia into the
United States.
On February 6, 2018, we published in
the Federal Register (83 FR 5179–5181,
Docket No. APHIS–2017–0074) a
notice 1 announcing our decision to
supplement our requirements 2
governing the importation of fresh sweet
orange, grapefruit, mandarin,
clementine, and tangerine fruit from
Colombia into the United States and
requested public comment on these
changes. We also made available a pest
risk assessment (PRA) and a commodity
import evaluation document (CIED).
The PRA evaluates the risks associated
with the importation of fresh sweet
orange, grapefruit, mandarin,
clementine, and tangerine fruit from
Colombia into the United States and the
CIED lists the phytosanitary measures
necessary to ensure its safe importation
into the United States.
We solicited comments concerning
the additional measures for 60 days
ending April 9, 2018. We received six
comments during the comment period.
The commenters consisted of State
governments, industry representatives,
and the general public. We respond to
the comments below.
General Comments
A few commenters stated concerns
about the phytosanitary risk of
importing fresh sweet orange, grapefruit,
mandarin, clementine, and tangerine
fruit from Colombia into the United
States but did not address specific
provisions of the notice. One such
1 To view the notice, the PRA, the CIED, and the
comments we received, go to https://
www.regulations.gov/#!docketDetail;D=APHIS2017-0074.
2 The supplemental requirements were added to
the Fruits and Vegetables Import Requirements
(FAVIR) database, located at https://epermits.aphis.
usda.gov/manual/index.cfm?action=pubHome.
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Sfmt 4703
commenter stated that the risk
mitigation measures listed in the notice
are not stringent enough to mitigate the
import risk of the 11 quarantine pests
identified in the PRA.
APHIS believes that the import risk
from the pests identified in the PRA will
be adequately mitigated by the measures
listed in the CIED. In addition, APHIS
has used these and similar measures to
mitigate risks successfully for pests from
other countries in South America,
including Argentina, Chile, Peru, and
Uruguay.
Two other commenters, representing
State governments, commented that
their respective States have a range of
climates and environments that magnify
the risk of infestation from quarantine
pests and recommended that APHIS not
allow the resumption of imports of fresh
citrus from Colombia.
APHIS acknowledges that several
States have climates that are hospitable
to plant pest infestations and infections.
However, the mitigations of the CIED
adequately address these risks.
Another commenter stated that we
can grow citrus in the United States and
should therefore encourage job
production domestically.
Under the Plant Protection Act (7
U.S.C. 7701 et seq.), we have the
authority to prohibit or restrict the
importation of plants and plant
products only when necessary to
prevent the introduction into or
dissemination of plant pests or noxious
weeds within the United States. With
respect to the commenter’s point about
encouraging domestic citrus production,
we note that APHIS actively supports
the domestic citrus industry through the
Citrus Health Response Program and
other initiatives.
Brevipalpus Chilensis and Other Mites
A few commenters expressed
concerns about the risk to domestic
citrus production posed by Brevipalpus
chilensis and other mites entering the
United States via the pathway of fresh
sweet orange, grapefruit, mandarin,
clementine, and tangerine fruit from
Colombia.
B. chilensis is not present in
Colombia. B. obovatus Donnadieu and
B. phoenicis (Geijskes) are the two
Brevipalpus species listed in the PRA
because they are vectors of Citrus
leprosis virus (CiLV). Both mite species
are already present in the United States.
APHIS is requiring specific measures in
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26MRN1
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Federal Register / Vol. 84, No. 58 / Tuesday, March 26, 2019 / Notices
the CIED to mitigate the risk of
Brevipalpus mites following the
pathway of citrus. At the packinghouse,
fruit must be washed and brushed and
any damaged or diseased fruit culled.
Fruit must be inspected for mites in
Colombia by the Colombian national
plant protection organization (NPPO).
Fruit will also be inspected for mites by
U.S. Customs and Border Protection
(CBP) at the port of entry.
Moreover, Brevipalpus mites have
limited capacity for movement. In order
to transmit CiLV, the mites would have
to feed on a susceptible part of the plant
and acquire CiLV, move onto the fruit,
survive washing and brushing, be
transported to an area with suitable
citrus hosts, and move from the fruit to
the new host. It is highly unlikely that
this combination of events would occur.
One commenter said that data was
lacking to show that cold treatment kills
all potential mites in transit. The
commenter stated that B. chilensis has
been shown to survive cold treatments
on grapes from Chile.
The required cold treatment is
intended to mitigate risk for fruit flies in
the genera Anastrepha and Ceratitis.
APHIS has not indicated that the
treatment is a requirement for, or
effective against, Brevipalpus mites. The
packinghouse procedures referenced in
the previous response will address mite
risk.
The commenter also stated that the
sieves used at U.S. ports to detect mites
are not the correct size to detect
immature stages of mites.
The commenter appears to be
conflating the mitigation requirements
for mites on citrus from Colombia with
the systems approach mitigation for B.
chilensis mites on fruit imported from
Chile and Argentina. Sieving for mites
is not part of the mitigation
requirements proposed for Brevipalpus
mites on Colombia citrus, nor is it used
routinely at U.S. ports of entry.
A commenter requested proof
showing that immature Brevipalpus
mites associated with citrus will be
detected through Colombian
phytosanitary export protocols, and
another stated that numerous mite
species exist in Colombia, such as B.
californicus, B. lewisi, and B.
hondurani, with some never being
evaluated as a possible vector for CiLV.
The commenters asked that APHIS
provide more analysis to show that
mites will be adequately mitigated.
APHIS believes that the risk from
mites and other pests identified in the
PRA will be adequately mitigated by the
measures listed in the CIED. In addition,
APHIS has used these measures and
other equivalent measures to mitigate
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17:54 Mar 25, 2019
Jkt 247001
risks for pests from other countries in
South America including Argentina,
Chile, Peru, and Uruguay. APHIS has
not detected mites on commercial
consignments of citrus from these
countries since these measures were
implemented.
Another commenter noted that the
PRA includes field management
practices to reduce the prevalence of B.
obovatus and B. phoenicis during citrus
crop production but does not consider
or address mitigation measures,
processes, or procedures during preharvest, postharvest, storage, or
shipping.
The PRA states that it did not
consider whether any production
practices would be used to mitigate the
risk of Brevipalpus mites. APHIS is
requiring specific measures in the CIED
to mitigate the risk of Brevipalpus mites
following the pathway of citrus. At the
packinghouse, fruit must be washed and
brushed and any damaged or diseased
fruit culled. Fruit must be inspected for
mites in Colombia by the NPPO. CBP
will inspect the citrus fruit for mites at
the U.S. port of entry.
A commenter stated that the risk
rating in the assessment of Brevipalpus
should be changed from Low to
Medium, noting that the mites are
polyphagous, have multiple hosts, are
subject to passive dissemination, and
can be dispersed over large distances
with the wind. The commenter stated
that without adequate consideration,
fresh fruit can vector the mites into the
United States where they can become
endemic in backyard citrus trees.
We note that the PRA currently lists
the mites, as vectors for CiLV, as
Medium for the risk of the mites
following the pathway of commercial
citrus from Colombia.
A commenter noted that the detection
of a mite results in the dismissal of the
entire lot for export consideration and
asked why the field is not suspended
from production until the scope of the
pest population can be determined.
Should APHIS dismiss a lot for export
consideration, we would not allow
continued imports of citrus from the
production site where the lot originated
in Colombia to the United States until
we are satisfied that such consignments
will not subject the United States to an
unacceptable level of pest risk.
Internal Feeders, Citrus Fruit Borer
Several commenters expressed
concern about internal feeders following
the pathway of fruit shipped from
Colombia into the United States. Two
such commenters stated that while
scientific literature supports cold
treatments designed for tephritid fruit
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Fmt 4703
Sfmt 4703
flies, such treatments are ineffective for
many species of Lepidoptera. The
commenters asked that we provide
evidence that this treatment effectively
kills the citrus fruit borer.
The required cold treatment is
intended to mitigate risk for fruit flies in
the genera Anastrepha and Ceratitis.
APHIS has not represented that the
treatment is a requirement for, or
effective against, Lepidoptera. APHIS
has considered that for most
Lepidoptera pests of fruit, inspection is
a sufficient mitigation since these pests
typically leave damage, frass (caterpillar
excrement), and a conspicuous hole.
These pests are typically removed by
factors inherent in commercial
production, including the requirement
to produce high quality fruit for sale,
culling, and inspection. APHIS has
never intercepted these Lepidoptera
pests in commercially produced citrus.
Two commenters stated that APHIS
provided no data supporting fruit
cutting as an effective method for
detecting fruit flies and other internal
feeders.
APHIS has not proposed that fruit
cutting will be used as a standalone
mitigation method for fruit flies. The
inspection with a small portion of fruit
cut is included to identify when high
pest populations may be present that
could potentially compromise a
quarantine treatment. This type of
inspection and the numbers used are
common to many importation programs.
One commenter asked whether fruit
cutting would be sustainable and
effective if personnel designated by the
NPPO of Colombia conduct the cutting.
The commenter stated that commercial
consignments from Morocco have failed
under a similar systems approach.
Inspectors designated by the NPPO of
Colombia have been trained in proper
fruit cutting to sample for pests, and all
citrus imported into the United States
will be subject to additional cutting by
CBP in accordance with 7 CFR part 305.
With respect to the commenter’s
reference to pest issues in Morocco,
APHIS did not identify fruit cutting in
that country’s export program as a
contributing factor.
Site Visits
Two commenters representing State
governments suggested to APHIS that a
joint USDA/Florida/California site visit
to Colombia be initiated to ensure that
risk mitigation approaches are being
executed effectively. The commenters
opposed the entry of citrus from
Colombia into their respective States
until such a site visit is made.
APHIS is committed to a transparent
process and an inclusive role for
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Federal Register / Vol. 84, No. 58 / Tuesday, March 26, 2019 / Notices
stakeholders in our risk analysis process
and we respect the phytosanitary
expertise of the State plant health
personnel of Florida and California.
However, we have not identified the
need for additional site visits at this
time to evaluate the implementation of
the systems approach. Should such site
visits occur, we will take the States’
requests into consideration.
jbell on DSK30RV082PROD with NOTICES
Regional Pests
A commenter stated that citrus
dieback, citrus tristeza, alternaria brown
spot, citrus canker, citrus black spot,
and sweet orange scab exist in countries
in proximity to Colombia production
areas, and that Huanglongbing and
Asian citrus psyllid exist within
Colombia itself. The commenter asked
APHIS to list insect vectors (other than
Brevipalpus mite species) that transmit
CiLV, as well as the distribution of such
pests. The commenter also asked what
disease and pathogen insect vector
mitigation measures will be used to
protect fresh citrus fruit as a pathway
from introducing citrus pathogens and
their insect vectors into the United
States.
Citrus canker, citrus black spot, and
sweet orange scab are not known to
occur in Colombia. Although CiLV and
Huanglongbing are known to exist in
Colombia, citrus fruit is not a pathway
of either of those pests in the absence of
their insect vectors. The CIED specifies
multiple packinghouse procedures for
Brevipalpus; these procedures will also
mitigate Asian citrus psyllid, vector of
Huanglongbing.
Risk Documentation
A commenter stated that the
documentation provided is incomplete
for the resumption of citrus exports
from Colombia. The commenter said
that PRA appeared to be conducted in
2015 or early 2016, leaving stakeholders
uninformed about the intervening 24
months. The commenter added that the
proposal moves from a PRA to an
operational workplan without a pest
risk mitigation document (RMD) in the
interim. The commenter stated that with
no RMD and operational workplan to
protect the industry and environment,
there are missing pieces to this effort.
APHIS did not identify any new
quarantine pests that could follow the
pathway of citrus from Colombia since
the PRA was completed; therefore, it is
still accurate. The CIED was made
available with the February 2018
Federal Register notice (see footnote 1)
and provides the risk mitigation
structure for the importation of citrus
from Colombia. Operational workplans
are documents that provide additional
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17:54 Mar 25, 2019
Jkt 247001
detail regarding day-to-day operations
within an export program and can be
updated as operational practices within
the exporting country change.
Neosilba spp.
Funding
A commenter asked how APHIS
attains funding as part of this action,
and whether a trust fund has been
established or a Colombian or industry
reimbursement is anticipated.
APHIS typically reserves trust funds
for preclearance programs. Importation
of citrus from Colombia does not
include a preclearance program.
Therefore, for the reasons noted
above, we are affirming our addition of
supplemental requirements for the
importation of sweet oranges,
tangerines, grapefruit, clementines, and
mandarins from Colombia into the
United States. The requirements are
listed in the FAVIR database, which is
available by following the link in
footnote 2.
Authority: 7 U.S.C. 1633, 7701–7772, and
7781–7786; 21 U.S.C. 136 and 136a; 7 CFR
2.22, 2.80, and 371.3.
Frm 00003
Fmt 4703
Done in Washington, DC, this 20th day of
March 2019.
Kevin Shea,
Administrator, Animal and Plant Health
Inspection Service.
[FR Doc. 2019–05679 Filed 3–25–19; 8:45 am]
A commenter stated that the PRA risk
rating should be High for the likelihood
of establishment of Neosilba spp. as it
poses a significant pest risk. The
commenter referred APHIS to the
Brazilian citrus PRA, which states: ‘‘the
introduction of Neosilba into the
continental United States is likely to
result in significant increases in costs of
production beyond normal
fluctuations.’’ Another commenter
questioned the effectiveness of fruit
cutting as a dependable detection
method for Neosilba spp. The
commenter asked for details about how
much fruit is being cut for detection of
pests.
APHIS has never intercepted Neosilba
spp. in commercial citrus. Given the
PRA’s medium risk rating and the lack
of interceptions, APHIS believes that
commercial production and inspection
are adequate mitigation measures for
this pest. APHIS believes that this pest
is primarily an invader of overripe,
damaged, fallen fruit, and fruit
previously infested by tephritid fruit
flies. In Brazil some studies have found
Neosilba spp. to be a primary infesting
agent, although some of those studies
used dooryard citrus, not commercial
fruit. Brazil is the only country where
any publications showing damage from
Neosilba spp. in citrus have been
published.
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Sfmt 4703
BILLING CODE 3410–34–P
DEPARTMENT OF AGRICULTURE
Animal and Plant Health Inspection
Service
[Docket No. APHIS–2018–0037]
Addition of China to the List of
Regions Affected by African Swine
Fever
Animal and Plant Health
Inspection Service, USDA.
ACTION: Notice.
AGENCY:
SUMMARY: We are advising the public
that we have added China to the list of
regions that the Animal and Plant
Health Inspection Service considers to
be affected with African swine fever
(ASF). We are taking this action because
of the confirmation of ASF in China.
DATES: China was added to the APHIS
list of regions considered affected with
ASF on August 6, 2018.
FOR FURTHER INFORMATION CONTACT: Dr.
Joyce Bowling-Heyward, DVM, National
Director, Regionalization Evaluation
Services, Strategy and Policy, VS,
APHIS, USDA, 4700 River Road Unit 39,
Riverdale, MD 20737; (301) 851–3350.
SUPPLEMENTARY INFORMATION: The
regulations in 9 CFR part 94 (referred to
below as the regulations) govern the
importation of specified animals and
animal products to prevent the
introduction into the United States of
various animal diseases, including footand-mouth disease, bovine spongiform
encephalopathy, swine vesicular
disease, classical swine fever, and
African swine fever (ASF). These are
dangerous and destructive diseases of
ruminants and swine.
Sections 94.8 and 94.17 of the
regulations contain requirements
governing the importation into the
United States of pork and pork products
from regions of the world where ASF
exists or is reasonably believed to exist
and imposes restrictions on the
importation of pork and pork products
into the United States from those
regions. ASF is a highly contagious
disease of wild and domestic swine that
can spread rapidly in swine populations
with extremely high rates of morbidity
and mortality. A list of regions where
ASF exists or is reasonably believed to
exist is maintained on the Animal and
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Agencies
[Federal Register Volume 84, Number 58 (Tuesday, March 26, 2019)]
[Notices]
[Pages 11279-11281]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2019-05679]
========================================================================
Notices
Federal Register
________________________________________________________________________
This section of the FEDERAL REGISTER contains documents other than rules
or proposed rules that are applicable to the public. Notices of hearings
and investigations, committee meetings, agency decisions and rulings,
delegations of authority, filing of petitions and applications and agency
statements of organization and functions are examples of documents
appearing in this section.
========================================================================
Federal Register / Vol. 84, No. 58 / Tuesday, March 26, 2019 /
Notices
[[Page 11279]]
DEPARTMENT OF AGRICULTURE
Animal and Plant Health Inspection Service
[Docket No. APHIS-2017-0074]
Supplemental Requirements for Importation of Fresh Citrus From
Colombia Into the United States
AGENCY: Animal and Plant Health Inspection Service, USDA.
ACTION: Notice of affirmation of supplemental requirements.
-----------------------------------------------------------------------
SUMMARY: We are affirming the supplemental requirements we added for
the importation of fresh sweet orange, grapefruit, mandarin,
clementine, and tangerine fruit from Colombia into the United States.
In a previous notice, we made available to the public for review and
comment supplemental requirements for mitigating pest risks posed by
the importation of those commodities from Colombia into the United
States. We also made available a pest risk assessment and commodity
import evaluation document. After reviewing the comments we received on
those documents, we are affirming the supplemental requirements we
added to the Fruits and Vegetables Import Requirements database.
DATES: These requirements were authorized for use on fresh sweet
orange, grapefruit, mandarin, clementine, and tangerine fruit from
Colombia beginning February 6, 2018.
FOR FURTHER INFORMATION CONTACT: Ms. Claudia Ferguson, Senior
Regulatory Policy Specialist, Regulatory Coordination and Compliance,
PPQ, APHIS, 4700 River Road, Unit 133, Riverdale, MD 20737-1236; (301)
851-2352.
SUPPLEMENTARY INFORMATION: Under the regulations in ``Subpart L--Fruits
and Vegetables'' (7 CFR 319.56-1 through 319.56-12, referred to below
as the regulations), the Animal and Plant Health Inspection Service
(APHIS) of the United States Department of Agriculture (USDA) prohibits
or restricts the importation of fruits and vegetables into the United
States from certain parts of the world in an effort to prevent plant
pests from being introduced into and spread within the United States.
Section 319.56-3, which includes general import requirements for
fruits and vegetables, authorizes the importation of fresh sweet
orange, grapefruit, mandarin, clementine, and tangerine fruit from
Colombia into the United States.
On February 6, 2018, we published in the Federal Register (83 FR
5179-5181, Docket No. APHIS-2017-0074) a notice \1\ announcing our
decision to supplement our requirements \2\ governing the importation
of fresh sweet orange, grapefruit, mandarin, clementine, and tangerine
fruit from Colombia into the United States and requested public comment
on these changes. We also made available a pest risk assessment (PRA)
and a commodity import evaluation document (CIED). The PRA evaluates
the risks associated with the importation of fresh sweet orange,
grapefruit, mandarin, clementine, and tangerine fruit from Colombia
into the United States and the CIED lists the phytosanitary measures
necessary to ensure its safe importation into the United States.
---------------------------------------------------------------------------
\1\ To view the notice, the PRA, the CIED, and the comments we
received, go to https://www.regulations.gov/#!docketDetail;D=APHIS-
2017-0074.
\2\ The supplemental requirements were added to the Fruits and
Vegetables Import Requirements (FAVIR) database, located at https://epermits.aphis.usda.gov/manual/index.cfm?action=pubHome.
---------------------------------------------------------------------------
We solicited comments concerning the additional measures for 60
days ending April 9, 2018. We received six comments during the comment
period. The commenters consisted of State governments, industry
representatives, and the general public. We respond to the comments
below.
General Comments
A few commenters stated concerns about the phytosanitary risk of
importing fresh sweet orange, grapefruit, mandarin, clementine, and
tangerine fruit from Colombia into the United States but did not
address specific provisions of the notice. One such commenter stated
that the risk mitigation measures listed in the notice are not
stringent enough to mitigate the import risk of the 11 quarantine pests
identified in the PRA.
APHIS believes that the import risk from the pests identified in
the PRA will be adequately mitigated by the measures listed in the
CIED. In addition, APHIS has used these and similar measures to
mitigate risks successfully for pests from other countries in South
America, including Argentina, Chile, Peru, and Uruguay.
Two other commenters, representing State governments, commented
that their respective States have a range of climates and environments
that magnify the risk of infestation from quarantine pests and
recommended that APHIS not allow the resumption of imports of fresh
citrus from Colombia.
APHIS acknowledges that several States have climates that are
hospitable to plant pest infestations and infections. However, the
mitigations of the CIED adequately address these risks.
Another commenter stated that we can grow citrus in the United
States and should therefore encourage job production domestically.
Under the Plant Protection Act (7 U.S.C. 7701 et seq.), we have the
authority to prohibit or restrict the importation of plants and plant
products only when necessary to prevent the introduction into or
dissemination of plant pests or noxious weeds within the United States.
With respect to the commenter's point about encouraging domestic citrus
production, we note that APHIS actively supports the domestic citrus
industry through the Citrus Health Response Program and other
initiatives.
Brevipalpus Chilensis and Other Mites
A few commenters expressed concerns about the risk to domestic
citrus production posed by Brevipalpus chilensis and other mites
entering the United States via the pathway of fresh sweet orange,
grapefruit, mandarin, clementine, and tangerine fruit from Colombia.
B. chilensis is not present in Colombia. B. obovatus Donnadieu and
B. phoenicis (Geijskes) are the two Brevipalpus species listed in the
PRA because they are vectors of Citrus leprosis virus (CiLV). Both mite
species are already present in the United States. APHIS is requiring
specific measures in
[[Page 11280]]
the CIED to mitigate the risk of Brevipalpus mites following the
pathway of citrus. At the packinghouse, fruit must be washed and
brushed and any damaged or diseased fruit culled. Fruit must be
inspected for mites in Colombia by the Colombian national plant
protection organization (NPPO). Fruit will also be inspected for mites
by U.S. Customs and Border Protection (CBP) at the port of entry.
Moreover, Brevipalpus mites have limited capacity for movement. In
order to transmit CiLV, the mites would have to feed on a susceptible
part of the plant and acquire CiLV, move onto the fruit, survive
washing and brushing, be transported to an area with suitable citrus
hosts, and move from the fruit to the new host. It is highly unlikely
that this combination of events would occur.
One commenter said that data was lacking to show that cold
treatment kills all potential mites in transit. The commenter stated
that B. chilensis has been shown to survive cold treatments on grapes
from Chile.
The required cold treatment is intended to mitigate risk for fruit
flies in the genera Anastrepha and Ceratitis. APHIS has not indicated
that the treatment is a requirement for, or effective against,
Brevipalpus mites. The packinghouse procedures referenced in the
previous response will address mite risk.
The commenter also stated that the sieves used at U.S. ports to
detect mites are not the correct size to detect immature stages of
mites.
The commenter appears to be conflating the mitigation requirements
for mites on citrus from Colombia with the systems approach mitigation
for B. chilensis mites on fruit imported from Chile and Argentina.
Sieving for mites is not part of the mitigation requirements proposed
for Brevipalpus mites on Colombia citrus, nor is it used routinely at
U.S. ports of entry.
A commenter requested proof showing that immature Brevipalpus mites
associated with citrus will be detected through Colombian phytosanitary
export protocols, and another stated that numerous mite species exist
in Colombia, such as B. californicus, B. lewisi, and B. hondurani, with
some never being evaluated as a possible vector for CiLV. The
commenters asked that APHIS provide more analysis to show that mites
will be adequately mitigated.
APHIS believes that the risk from mites and other pests identified
in the PRA will be adequately mitigated by the measures listed in the
CIED. In addition, APHIS has used these measures and other equivalent
measures to mitigate risks for pests from other countries in South
America including Argentina, Chile, Peru, and Uruguay. APHIS has not
detected mites on commercial consignments of citrus from these
countries since these measures were implemented.
Another commenter noted that the PRA includes field management
practices to reduce the prevalence of B. obovatus and B. phoenicis
during citrus crop production but does not consider or address
mitigation measures, processes, or procedures during pre-harvest,
postharvest, storage, or shipping.
The PRA states that it did not consider whether any production
practices would be used to mitigate the risk of Brevipalpus mites.
APHIS is requiring specific measures in the CIED to mitigate the risk
of Brevipalpus mites following the pathway of citrus. At the
packinghouse, fruit must be washed and brushed and any damaged or
diseased fruit culled. Fruit must be inspected for mites in Colombia by
the NPPO. CBP will inspect the citrus fruit for mites at the U.S. port
of entry.
A commenter stated that the risk rating in the assessment of
Brevipalpus should be changed from Low to Medium, noting that the mites
are polyphagous, have multiple hosts, are subject to passive
dissemination, and can be dispersed over large distances with the wind.
The commenter stated that without adequate consideration, fresh fruit
can vector the mites into the United States where they can become
endemic in backyard citrus trees.
We note that the PRA currently lists the mites, as vectors for
CiLV, as Medium for the risk of the mites following the pathway of
commercial citrus from Colombia.
A commenter noted that the detection of a mite results in the
dismissal of the entire lot for export consideration and asked why the
field is not suspended from production until the scope of the pest
population can be determined.
Should APHIS dismiss a lot for export consideration, we would not
allow continued imports of citrus from the production site where the
lot originated in Colombia to the United States until we are satisfied
that such consignments will not subject the United States to an
unacceptable level of pest risk.
Internal Feeders, Citrus Fruit Borer
Several commenters expressed concern about internal feeders
following the pathway of fruit shipped from Colombia into the United
States. Two such commenters stated that while scientific literature
supports cold treatments designed for tephritid fruit flies, such
treatments are ineffective for many species of Lepidoptera. The
commenters asked that we provide evidence that this treatment
effectively kills the citrus fruit borer.
The required cold treatment is intended to mitigate risk for fruit
flies in the genera Anastrepha and Ceratitis. APHIS has not represented
that the treatment is a requirement for, or effective against,
Lepidoptera. APHIS has considered that for most Lepidoptera pests of
fruit, inspection is a sufficient mitigation since these pests
typically leave damage, frass (caterpillar excrement), and a
conspicuous hole. These pests are typically removed by factors inherent
in commercial production, including the requirement to produce high
quality fruit for sale, culling, and inspection. APHIS has never
intercepted these Lepidoptera pests in commercially produced citrus.
Two commenters stated that APHIS provided no data supporting fruit
cutting as an effective method for detecting fruit flies and other
internal feeders.
APHIS has not proposed that fruit cutting will be used as a
standalone mitigation method for fruit flies. The inspection with a
small portion of fruit cut is included to identify when high pest
populations may be present that could potentially compromise a
quarantine treatment. This type of inspection and the numbers used are
common to many importation programs.
One commenter asked whether fruit cutting would be sustainable and
effective if personnel designated by the NPPO of Colombia conduct the
cutting. The commenter stated that commercial consignments from Morocco
have failed under a similar systems approach.
Inspectors designated by the NPPO of Colombia have been trained in
proper fruit cutting to sample for pests, and all citrus imported into
the United States will be subject to additional cutting by CBP in
accordance with 7 CFR part 305. With respect to the commenter's
reference to pest issues in Morocco, APHIS did not identify fruit
cutting in that country's export program as a contributing factor.
Site Visits
Two commenters representing State governments suggested to APHIS
that a joint USDA/Florida/California site visit to Colombia be
initiated to ensure that risk mitigation approaches are being executed
effectively. The commenters opposed the entry of citrus from Colombia
into their respective States until such a site visit is made.
APHIS is committed to a transparent process and an inclusive role
for
[[Page 11281]]
stakeholders in our risk analysis process and we respect the
phytosanitary expertise of the State plant health personnel of Florida
and California. However, we have not identified the need for additional
site visits at this time to evaluate the implementation of the systems
approach. Should such site visits occur, we will take the States'
requests into consideration.
Regional Pests
A commenter stated that citrus dieback, citrus tristeza, alternaria
brown spot, citrus canker, citrus black spot, and sweet orange scab
exist in countries in proximity to Colombia production areas, and that
Huanglongbing and Asian citrus psyllid exist within Colombia itself.
The commenter asked APHIS to list insect vectors (other than
Brevipalpus mite species) that transmit CiLV, as well as the
distribution of such pests. The commenter also asked what disease and
pathogen insect vector mitigation measures will be used to protect
fresh citrus fruit as a pathway from introducing citrus pathogens and
their insect vectors into the United States.
Citrus canker, citrus black spot, and sweet orange scab are not
known to occur in Colombia. Although CiLV and Huanglongbing are known
to exist in Colombia, citrus fruit is not a pathway of either of those
pests in the absence of their insect vectors. The CIED specifies
multiple packinghouse procedures for Brevipalpus; these procedures will
also mitigate Asian citrus psyllid, vector of Huanglongbing.
Risk Documentation
A commenter stated that the documentation provided is incomplete
for the resumption of citrus exports from Colombia. The commenter said
that PRA appeared to be conducted in 2015 or early 2016, leaving
stakeholders uninformed about the intervening 24 months. The commenter
added that the proposal moves from a PRA to an operational workplan
without a pest risk mitigation document (RMD) in the interim. The
commenter stated that with no RMD and operational workplan to protect
the industry and environment, there are missing pieces to this effort.
APHIS did not identify any new quarantine pests that could follow
the pathway of citrus from Colombia since the PRA was completed;
therefore, it is still accurate. The CIED was made available with the
February 2018 Federal Register notice (see footnote 1) and provides the
risk mitigation structure for the importation of citrus from Colombia.
Operational workplans are documents that provide additional detail
regarding day-to-day operations within an export program and can be
updated as operational practices within the exporting country change.
Neosilba spp.
A commenter stated that the PRA risk rating should be High for the
likelihood of establishment of Neosilba spp. as it poses a significant
pest risk. The commenter referred APHIS to the Brazilian citrus PRA,
which states: ``the introduction of Neosilba into the continental
United States is likely to result in significant increases in costs of
production beyond normal fluctuations.'' Another commenter questioned
the effectiveness of fruit cutting as a dependable detection method for
Neosilba spp. The commenter asked for details about how much fruit is
being cut for detection of pests.
APHIS has never intercepted Neosilba spp. in commercial citrus.
Given the PRA's medium risk rating and the lack of interceptions, APHIS
believes that commercial production and inspection are adequate
mitigation measures for this pest. APHIS believes that this pest is
primarily an invader of overripe, damaged, fallen fruit, and fruit
previously infested by tephritid fruit flies. In Brazil some studies
have found Neosilba spp. to be a primary infesting agent, although some
of those studies used dooryard citrus, not commercial fruit. Brazil is
the only country where any publications showing damage from Neosilba
spp. in citrus have been published.
Funding
A commenter asked how APHIS attains funding as part of this action,
and whether a trust fund has been established or a Colombian or
industry reimbursement is anticipated.
APHIS typically reserves trust funds for preclearance programs.
Importation of citrus from Colombia does not include a preclearance
program.
Therefore, for the reasons noted above, we are affirming our
addition of supplemental requirements for the importation of sweet
oranges, tangerines, grapefruit, clementines, and mandarins from
Colombia into the United States. The requirements are listed in the
FAVIR database, which is available by following the link in footnote 2.
Authority: 7 U.S.C. 1633, 7701-7772, and 7781-7786; 21 U.S.C.
136 and 136a; 7 CFR 2.22, 2.80, and 371.3.
Done in Washington, DC, this 20th day of March 2019.
Kevin Shea,
Administrator, Animal and Plant Health Inspection Service.
[FR Doc. 2019-05679 Filed 3-25-19; 8:45 am]
BILLING CODE 3410-34-P