80_FR_23536 80 FR 23455 - National Organic Program; Origin of Livestock

80 FR 23455 - National Organic Program; Origin of Livestock

DEPARTMENT OF AGRICULTURE
Agricultural Marketing Service

Federal Register Volume 80, Issue 81 (April 28, 2015)

Page Range23455-23477
FR Document2015-09851

The U.S. Department of Agriculture's Agricultural Marketing Service (USDA AMS) proposes to amend the origin of livestock requirements for dairy animals under the USDA organic regulations. This proposed action would specify that a producer can transition dairy animals into organic production once. This proposed action would clarify that, after completion of this one-time transition, any new dairy animals that a producer adds to a dairy farm would need to be managed organically from the last third of gestation or sourced from dairy animals that already completed their transition into organic production. This proposed action would also clarify how breeder stock should be managed on organic livestock farms.

Federal Register, Volume 80 Issue 81 (Tuesday, April 28, 2015)
[Federal Register Volume 80, Number 81 (Tuesday, April 28, 2015)]
[Proposed Rules]
[Pages 23455-23477]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-09851]


========================================================================
Proposed Rules
                                                Federal Register
________________________________________________________________________

This section of the FEDERAL REGISTER contains notices to the public of 
the proposed issuance of rules and regulations. The purpose of these 
notices is to give interested persons an opportunity to participate in 
the rule making prior to the adoption of the final rules.

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Federal Register / Vol. 80, No. 81 / Tuesday, April 28, 2015 / 
Proposed Rules

[[Page 23455]]



DEPARTMENT OF AGRICULTURE

Agricultural Marketing Service

7 CFR Part 205

[Document Number AMS-NOP-11-0009; NOP-11-04PR]
RIN 0581-AD08


National Organic Program; Origin of Livestock

AGENCY: Agricultural Marketing Service, USDA.

ACTION: Proposed rule.

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SUMMARY: The U.S. Department of Agriculture's Agricultural Marketing 
Service (USDA AMS) proposes to amend the origin of livestock 
requirements for dairy animals under the USDA organic regulations. This 
proposed action would specify that a producer can transition dairy 
animals into organic production once. This proposed action would 
clarify that, after completion of this one-time transition, any new 
dairy animals that a producer adds to a dairy farm would need to be 
managed organically from the last third of gestation or sourced from 
dairy animals that already completed their transition into organic 
production. This proposed action would also clarify how breeder stock 
should be managed on organic livestock farms.

DATES: Comments must be received by July 27, 2015.

ADDRESSES: Interested parties may submit written comments on this 
proposed rule using one of the following methods:
     Federal eRulemaking Portal: http://www.regulations.gov. 
Follow the instructions for submitting comments.
     Mail: Scott Updike, Agricultural Marketing Specialist, 
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-11-0009; NOP-11-04PR, and/or Regulatory Information 
Number (RIN) 0581-AD08 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 http://www.regulations.gov.
    Docket: For access to the docket, including background documents 
and comments received, go to http://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: Andrew Perry, Director, 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 the 
implementation of a standard for the transition of dairy animals into 
organic production and for the management of breeder stock. AMS has 
determined that the current regulations regarding the transition of 
dairy animals and the management of breeder stock on organic operations 
need additional specificity and clarity to improve AMS' ability to 
efficiently administer the National Organic Program (NOP). A stated 
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). This action 
would facilitate and improve compliance with and enforcement of the 
USDA organic regulations (7 CFR part 205) and maintain consumer trust 
in the consistency of the Organic seal.

B. Summary of Provisions

    This proposed rule would update the regulation by explicitly 
requiring that milk or milk products labeled, sold or represented as 
organic be from dairy animals organically managed since at least the 
last third of gestation, with a one-time exception for transition. This 
exception would allow a producer, as defined by the regulations, to 
transition nonorganic dairy animals to organic milk production one 
time, under specific conditions.
    This proposal would specify that a producer (e.g., an individual or 
corporation starting or operating a dairy farm) could transition 
nonorganic dairy animals to organic milk production one time over a 
single twelve-month period. The proposal would require that all 
transitioning animals end the transition process at the same time. This 
twelve-month period is consistent with OFPA's requirement that there be 
a minimum period of one year of organic management before milk from 
dairy animals can be sold as organic (7 U.S.C. 6509(e)(2)).
    This proposal would specify that, once the transition into organic 
production is complete, that a producer would not be allowed to conduct 
any additional transitions. After the transition, the producer would 
only be able to expand the number of dairy animals or replace culled 
dairy animals on any dairy farm in two ways: (1) Add dairy animals that 
had been under continuous organic management since the last third of 
gestation, or (2) add transitioned dairy animals that had already 
completed the transition on another dairy farm during that producer's 
one-time transition.
    The proposal would define a dairy farm as a specific premises with 
a milking parlor where at least one lactating animal is milked. For the 
purpose of this definition, a milking parlor should be considered a 
physical structure (e.g., barn, parlor) in which dairy animals are 
milked. Because the dairy farm definition, in part, drives the 
eligibility for a producer to transition animals to organic production, 
this action would mean that producers that only raise heifers for 
organic dairy farms would not be eligible to transition conventional 
animals to organic. Such producers do not milk animals and, therefore, 
would not be considered eligible for the one-time transition

[[Page 23456]]

exception. However, such producers could continue raising heifers for 
organic dairy farms as long as the animals were under continuous 
organic management from the last third of gestation.
    This proposed rule reiterates that breeder stock may be brought 
from a nonorganic operation onto an organic operation at any time. 
While the regulations prohibit organic livestock from being removed and 
managed on a nonorganic operation and subsequently returned to an 
organic operation (i.e., cycling in and out of organic production), 
this provision does not extend to nonorganic breeder stock that are 
themselves not certified or eligible for slaughter, sale, and labeling 
as organic. Further, OFPA specifically allows breeder stock to be 
purchased from any source if the stock is not in its last third of 
gestation. Consistent with OFPA and USDA organic regulations, a 
producer has flexibility in its sourcing and its management of 
nonorganic breeder stock after its organic calf is weaned and before it 
begins the last third of gestation for the next offspring. However, a 
producer must continue to prevent commingling of organic and nonorganic 
products and prevent contact of any organic production or products with 
prohibited substances (7 CFR 205.201(a)(5)). AMS is proposing 
additional provisions for organic management of breeder stock during 
the time when the breeder stock is directly contributing to the 
nourishment of organic offspring, from the last third of gestation 
through the end of the nursing period.

C. Costs and Benefits

    AMS estimates the following costs and benefits of this proposed 
rule.

------------------------------------------------------------------------
             Costs (range)                           Benefits
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$288,000-$935,000......................  Will create a consistent, level
This range indicates the estimated        playing field for all existing
 costs for dairy producers to purchase    organic dairy producers,
 organic replacement heifers instead of   regardless of how they
 transitioned heifers. (AMS had no data   transitioned into organic
 to estimate costs for dairy sheep and    production.
 goat farms) AMS believes the lower      Facilitates more consistent
 bound is a conservative estimate of      enforcement of organic dairy
 the costs and actual costs could be      standards.
 less. The upper limit accounts for an   Maintains consumer confidence
 assumed organic premium for organic      in the USDA organic seal.
 heifers. The difference between the
 lower bound and upper limit is
 believed to be an intra-industry
 transfer of costs and benefits, not a
 net cost.
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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. Dairy Transition
    B. Breeder Stock
    C. Development of Existing Standards
    D. Discussion of Past Comments Received
III. Overview of Proposed Amendments
    A. Dairy Transition
    i. Implementation Considerations
    B. Breeder Stock
    C. Additional Clarifications
    D. 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
VI. List of Subjects in 7 CFR Part 205

I. General Information

A. Does this action apply to me?

    You may be potentially affected by this action if you are engaged 
in the dairy industry. Potentially affected entities may include, but 
are not limited to:
     Individuals or business entities that are considering 
starting a new dairy farm and that plan to seek organic certification 
for that farm.
     Existing dairy farms that are currently certified organic 
under the USDA organic regulations.
     Existing conventional dairy farms that are considering 
converting their farm to certified organic production.
     Businesses engaged in raising heifers for sale to 
certified organic operations.
     Certifying agents accredited under the USDA organic 
regulations to certify organic livestock operations.
     Certifying agents accredited under the USDA organic 
regulations who may seek to certify transitioned dairy animals or 
transitional crops.
    This listing is not intended to be exhaustive, but rather provides 
a guide for readers regarding entities likely to be affected by this 
action. Other types of entities not listed in this section 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 action being proposed 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 cost and benefit analysis presented, including assumptions 
and estimates, of limiting dairy transition to a one-time exception for 
a given producer;
    2. Procedures that certifying agents would use under this proposal 
to determine whether a producer is eligible for the one-time 
transition; and
    3. The proposed implementation approach for this rule.

II. Background

A. Dairy Transition

    AMS' National Organic Program (NOP) is authorized by OFPA. Through 
the NOP, AMS oversees national standards for the production and 
handling of organically produced agricultural products. This action is 
being taken by AMS to create greater consistency in the implementation 
of the origin of livestock requirements for organic dairy animals, and 
to facilitate and improve compliance with and enforcement of the USDA 
organic regulations. This action is also being taken to satisfy 
consumer expectations

[[Page 23457]]

that organic livestock meet a consistent and uniform standard.
    Section 6509 of OFPA authorizes the USDA to implement regulations 
regarding standards for organic livestock products, including the 
transition of dairy animals into organic production. OFPA establishes 
that in general, organic livestock will be managed organically since 
the last third of gestation (7 U.S.C. 6509(b)). As an exception for 
dairy animals, OFPA requires a minimum period of one year of organic 
management before milk from non-organic dairy animals can be sold as 
organic (7 U.S.C. 6509(e)(2)). OFPA also addresses the use of breeder 
stock on livestock farms (7 U.S.C. 6509(b)). Furthermore, OFPA 
authorizes the creation of the National Organic Standards Board (NOSB) 
to advise USDA about the implementation of standards and practices for 
organic production (7 U.S.C. 6518).
    The USDA organic regulations regarding the origin of livestock (7 
CFR 205.236(a)) require that all livestock products (e.g., meat, fiber) 
sold, labeled, or represented as being organic must be from livestock 
under continuous organic management from the last third of gestation 
onward. For dairy animals, the USDA organic regulations provide an 
exception at section 205.236(a)(2) that allows for the transition of a 
dairy herd into organic production as long as they are under continuous 
organic management for the one-year period prior to production of 
organic milk or milk products. During this one-year period, dairy 
animals may consume crops and forage from land which is in the third 
year of organic management and included in the organic system plan, but 
has not yet been certified organic (7 CFR 205.236(a)(2)(i)). Section 
205.236(a)(2)(iii) requires that once an entire distinct herd has 
transitioned to organic production, all dairy animals shall be managed 
organically from the last third of gestation.
    While the regulations allow for the transition of a conventional 
herd to organic milk production after one year of organic management, 
the regulations do not define a herd. As such, stakeholders have 
interpreted the term ``herd'' in a variety of ways. For example, some 
operations and certifying agents consider a herd to include all of the 
animals on the farm, whereas others consider a herd to be a group of 
animals on a farm that are managed together over time.
    Additionally, organic operations and certifying agents have 
interpreted the USDA organic regulations differently regarding when the 
transition of a herd into organic production should be considered 
complete. Some dairy operations continuously transition conventional 
dairy animals as new ``distinct'' herds into organic production. This 
can be a cost savings to a farmer because he or she does not have to 
purchase organic dairy animals to either expand their herd or replace 
their cull animals. Other dairy operations have only used the 
transition exception once when they initially converted a ``herd'' to 
organic production. Current practice also does not always align with 
the intent of the May 2003 NOSB recommendation and the regulations that 
dairy herd transition be used only one time, when a producer with a 
farm initially transitions from conventional to organic production. AMS 
is updating the transition exception through this proposed rulemaking.
    In July 2013, the USDA Office of Inspector General (OIG) published 
an audit report on organic milk operations stating that certifying 
agents were interpreting the origin of livestock requirements 
differently.\1\ According to the OIG report, three of the six 
certifiers interviewed by OIG allowed producers to continuously 
transition additional herds to organic milk production, while the other 
three certifiers did not permit this practice. OIG recommended that a 
proposed rule be issued to clarify the standard and ensure that all 
certifiers consistently apply and enforce the origin of livestock 
requirements. This proposed rule responds to the OIG finding on this 
issue.
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    \1\ The July 2013 Office of Inspector General (OIG) audit report 
on organic milk operations may be accessed at the following Web 
site: http://www.usda.gov/oig/webdocs/01601-0002-32.pdf.
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B. Breeder Stock

    OFPA states that breeder stock may be purchased from any source if 
such stock is not in the last third of gestation (7 U.S.C. 6509(b)). 
The USDA organic regulations define breeder stock as female livestock 
whose offspring may be incorporated into an organic operation at the 
time of their birth (7 CFR 205.2). OFPA and the regulations limit 
breeder stock to nonorganic females who may produce organic offspring 
if certain conditions are met. The regulations specify that such 
breeder stock may be brought from a nonorganic operation onto an 
organic operation at any time (7 CFR 205.236(a)(3)). If breeder stock 
is gestating and its offspring are to be raised as organic, the 
regulations require that the breeder stock be brought onto the facility 
no later than the last third of gestation and be under continuous 
organic management until the offspring are weaned from the breeder 
stock (7 CFR 205.236(a)).
    Stakeholders, through public comment to the NOSB and comments to 
NOP have expressed concern that some operations may bring breeder stock 
onto an organic operation, manage them organically for the last third 
of gestation so that the breeder stock can produce organic offspring, 
and then return that breeder stock to nonorganic management. Some 
stakeholders, including the NOSB, have suggested that such a practice 
does not align with a regulatory provision that prohibits livestock 
removed from an organic operation and subsequently managed on a 
nonorganic operation to be sold, labeled, or represented as organically 
produced (section 205.236(b)).\2\
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    \2\ National Organic Standards Board April 2003 Recommendation 
on Breeder Stock: Clarification of Rule. Available online at: http://www.ams.usda.gov/AMSv1.0/getfile?dDocName=STELDEV3104547.
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C. Development of Existing Standards

    Between 1994 and 2006, the NOSB made six recommendations regarding 
origin of dairy animals; several of which included recommendations on 
the management of breeder stock.\3\ Between 1997 and 2000, AMS issued 
two proposed rules and a final rule regarding national standards for 
production and handling of organic products, including livestock and 
their products. 4 5 AMS also issued a proposed rule and 
final rule implementing congressional amendments to the OFPA regarding 
feed for transitioning dairy animals.\6\ The NOSB as well as the public 
commented on these rulemakings with regard to the origin of livestock 
and exception for transition. Key points from these actions that led to 
the development of the existing standards on origin of livestock are 
summarized below.
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    \3\ A complete listing of related documents and NOSB 
recommendations is found in Section III below.
    \4\ 62 FR 65850; 65 FR 13512.
    \5\ 65 FR 80548.
    \6\ 71 FR 32803.
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    (1) In June 1994, the NOSB recommended a series of provisions to 
address the source of livestock on organic farms. Within this 
recommendation, the NOSB stated that dairy stock be fed certified 
organic feeds and raised under organic management practices for not 
less than 12 months prior to the sale of their milk as organic.\7\
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    \7\ NOSB Final Recommendation, 2 June 1994. Available online at: 
http://www.ams.usda.gov/AMSv1.0/getfile?dDocName=stelprdc5058940.
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    (2) On December 16, 1997, AMS responded to the June 1994 NOSB

[[Page 23458]]

recommendation through publication of a proposed rule.\8\ The language 
contained within that proposed rule echoed the NOSB's recommendation. 
The proposal would have required that dairy animals must be on a 
certified organic facility beginning no later than 12 months prior to 
the production of milk or milk products sold, labeled, or represented 
as organic. The 1997 proposed rule also proposed that all feed provided 
to organic dairy livestock consist of organically produced and handled 
agricultural products, including pasture and forage. However, the 
proposed rule included a provision to allow nonorganic feed up to a 
maximum of 20 percent of the animal's diet. The 20 percent level was 
roughly representative of the nutrients provided from supplemental 
grain feeding, in addition to nutrients provided by pasture and forage. 
The proposed language also contained a provision that, if necessary, a 
herd of dairy livestock converting to organic management for the first 
time could be provided with nonorganic feed until 90 days prior to the 
production of organic milk or milk products. This proposed rule was 
never finalized.\9\
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    \8\ 62 FR 65850.
    \9\ Due to the volume and content of public comments submitted 
in response to the 1997 proposed rule, AMS withdrew the proposal and 
issued a second proposed rule prior to the final rule that 
established the National Organic Program (NOP) (published December 
21, 2000).
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    (3) In March 1998, the NOSB provided a second recommendation 
reaffirming its 1994 recommendation on the source of livestock.\10\ The 
March 1998 NOSB recommendation also recommended that livestock 
comprising part of a mixed crop/livestock operation should qualify to 
be certified organic at the end of the transition period.
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    \10\ NOSB Committee Report and Adopted Recommendations, 16 March 
1998. Available online at: http://www.ams.usda.gov/AMSv1.0/getfile?dDocName=stelprdc5058929.
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    (4) On March 13, 2000, AMS published a proposed rule that would 
establish the USDA organic regulations.\11\ Within this proposed rule, 
AMS responded to the NOSB's March 1998 recommendation on the source of 
livestock. AMS proposed to require that livestock be under continuous 
organic management beginning no later than one year prior to the 
production of organic milk or milk products. Unlike AMS' 1997 proposal, 
the 2000 proposed rule did not include a provision for the allowance of 
nonorganic feed during the 12-month transition period.
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    \11\ 65 FR 13512.
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    (5) On June 12, 2000, the NOSB commented on the second proposed 
rule with respect to the origin of dairy livestock. The NOSB stated 
that livestock should be under organic management for one full year 
prior to the sale of organic milk with an exception for conversion of 
an entire, distinct herd into organic production. The NOSB laid out the 
following three conditions for conversion of a herd into organic 
production:
     For the first nine months of the final twelve-month dairy 
herd transition period, animals must be fed at least 80 percent feed 
that is either organic or self-raised transitional feed. The remaining 
20 percent could be nonorganic during those nine months.
     For the final three months, animals must be fed 100 
percent organic feed.
     Once a dairy operation has been converted to organic 
production, all dairy animals shall be under organic management from 
the last third of gestation, except that transitional feed raised on 
the farm may be fed to young stock up to 12 months prior to milk 
production.
    (6) On December 21, 2000, AMS published a final rule establishing 
the USDA organic regulations.\12\ Through this action, AMS finalized 
the origin of livestock provision, including a requirement that organic 
milk be produced from animals under organic management beginning no 
later than one year prior to the production of milk or milk products 
sold, labeled, or represented as organic. The rule further incorporated 
the exceptions recommended by the NOSB by allowing 80 percent organic 
feed and 20 percent nonorganic feed (i.e., the ``80/20'' rule) for 
transitioned animals. AMS did not include NOSB's recommendation 
allowing young stock to be fed transitional feeds. In the preamble to 
the final rule, AMS explained that such a provision would allow animals 
to transition at different times, rather than as a herd, thereby making 
it incompatible with the notion that the whole herd transition was a 
distinct one-time event.\13\ AMS further described that the exception 
to transition is a one-time opportunity for producers to implement a 
conversion strategy for an established discrete dairy herd in 
conjunction with the land resources that sustain it. This rule went 
into effect on February 20, 2001, and was fully implemented on October 
21, 2002.
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    \12\ 65 FR 80548.
    \13\ 65 FR 80570.
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    (7) In October 2002, the NOSB recommended that all replacement and 
expansion dairy animals be raised as organic from the last third of 
gestation onward. The NOSB believed that this would ensure consistency 
with the current regulations at section 205.236(a)(2)(iii). Their 
recommendation also included a provision for breeder stock (7 CFR 
205.236(a)(3)) requiring that breeder stock remain under organic 
management indefinitely after their introduction onto an organic farm; 
that is to say, the recommendation was to prohibit breeder stock from 
rotating in and out of organic management.
    (8) In May 2003, the NOSB recommended that following a transition, 
all dairy livestock, including replacement stock, remain under organic 
management from the last third of gestation onward.\14\ Concurrently, 
the NOSB made a separate recommendation regarding breeder stock.\15\ 
They recommended a requirement for operations to continuously manage 
all breeder stock as organic if they were brought onto an organic farm 
to produce organic offspring. The NOSB further advocated that the NOP 
issue guidance in the form of questions and answers to clarify the 
management of breeder stock to the industry.
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    \14\ National Organic Standards Board May 2003 Recommendation on 
Origin of Livestock: Recommendation for Rule Change (document dated 
April 2003). Available online at: http://www.ams.usda.gov/AMSv1.0/getfile?dDocName=STELDEV3104546.
    \15\ National Organic Standards Board May 2003 Recommendation on 
Breeder Stock: Clarification of Rule (document dated April 2003). 
Available online at: http://www.ams.usda.gov/AMSv1.0/getfile?dDocName=STELDEV3104547.
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    (9) In October 2003, a legal challenge was filed against USDA 
stating that, among other things, the OFPA required organic dairy 
animals be fed 100 percent organic feeds, and thus, the 80/20 rule for 
the transition of dairy animals was in violation of the statute.\16\
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    \16\ Harvey v. Veneman, 297 F.Supp. 2d 334 (D. Maine 2004).
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    (10) On January 26, 2005, the U.S. Court of Appeals for the First 
Circuit issued a decision in the case.\17\ The court upheld the USDA 
organic regulations in general, but remanded the case to the lower 
court, for, among other things, the entry of a declaratory judgment 
with respect to the 80/20 dairy transition allowance, then codified in 
section 205.236(a)(2)(i) of the regulations. The lower court found the 
80/20 dairy transition provisions at section 205.236(a)(2)(i) to be 
contrary to the OFPA and in excess of the Secretary's rulemaking 
authority.\18\
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    \17\  Harvey v. Veneman, 396 F.3d 28 (1st Cir. 2005).
    \18\ Harvey v. Johanns. Civil No. 02-216-P-H. Consent Final 
Judgment and Order, 9 June 2005. Available online at: http://www.ams.usda.gov/AMSv1.0/getfile?dDocName=STELDEV3013564&acct=noprulemaking.

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[[Page 23459]]

    (11) On November 10, 2005, Congress amended the OFPA to allow a 
special provision for transitioning dairy livestock to organic 
production (7 U.S.C. 6509(e)(2)(B)). This amendment provided a new 
provision to allow crops and forage from land included in the organic 
system plan of a farm that was in the third year of organic management 
to be consumed by the dairy animals on the farm during the 12 month 
period immediately prior to the sale of organic milk and milk products.
    (12) On April 27, 2006, AMS published a proposed rule entitled 
``Revisions to Livestock Standards Based on Court Order'' to address 
the November 2005 amendments to OFPA.\19\ AMS received nearly 12,400 
comments on the issue of dairy animal replacement during the comment 
period for this proposed rule. Additionally, in response to the April 
13, 2006, advanced notice of proposed rulemaking on access to pasture, 
AMS received over 325 comments on the issue of dairy animal 
replacement.\20\ Neither of these actions intended to address the dairy 
replacement or transition issue as an objective. Accordingly, the 
comments were not a part of subsequent rulemaking for either action as 
they were beyond the scope of these rules. They are, however, 
acknowledged and discussed in this proposed rule.
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    \19\ 71 FR 24820.
    \20\ 71 FR 19131.
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    (13) On May 12, 2006, the NOSB commented on the ``Revisions to 
Livestock Standards Based on Court Order (Harvey v. Johanns) and 2005 
Amendment to the Organic Foods Production Act of 1990'' proposed rule 
published April 27, 2006.\21\ The NOSB amended its May 2003 dairy 
replacement recommendation to read: ``Once a dairy operation has been 
converted to organic production, all dairy animals, including all young 
stock whether born on or brought onto the operation, shall be under 
organic management from the last third of the mother's gestation.''
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    \21\ 71 FR 24820.
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    (14) On June 7, 2006, AMS published a final rule entitled 
``Revisions to Livestock Standards Based on Court Order'' to implement 
the November 2005 statutory change.\22\ The amendments reflected the 
new OFPA allowance permitting transitioning dairy animals to be fed 
feedstuffs from transitioning lands in their last of the three-year 
period (7 CFR 205.236(a)(2)(i)), as well as setting a termination date 
of June 9, 2007, for the existing 80/20 feed conversion rule (7 CFR 
205.236(a)(2)(ii)). In the preamble to the 2006 final rule, AMS noted 
that additional clarity could be provided regarding the transition of 
dairy animals into organic production.
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    \22\ 71 FR 32803.
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D. Discussion of Past Comments Received

    The approximately 12,725 combined comments received on the April 
2006 proposed rule addressing the court order and the April 2006 
advanced notice of proposed rulemaking on access to pasture provided 
AMS with information needed to develop this proposed action. In 
general, comments requested greater clarity on the parameters for 
transitioning dairy animals into organic production, and called for 
elimination of the ``two-track'' system. The ``two-track'' system 
refers to an April 2003 NOP statement that once an entire, distinct 
herd transitioned using the 80/20 provision (20% nonorganic feed in the 
12 months before milking), all offspring then had to be managed 
organically and no transitioned replacements could be purchased.\23\ 
The NOP also stated that, for those that did not use the 80/20 
provision, the dairy animals only needed to be under continuous organic 
management starting no later than 12 months prior to production (i.e., 
producers could continue to transition animals into organic over time).
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    \23\ National Organic Program, Origin of Livestock Statement. 
April 11, 2003. Available online at www.regulations.gov under 
``Related Documents'' for docket number AMS-NOP-11-0009.
---------------------------------------------------------------------------

    The majority of commenters stated that the ``two-track'' system 
could be addressed by conveying that, once a dairy operation is 
certified organic, regardless of how that operation transitioned into 
organic, all new dairy animals added to that operation should be 
managed organically from the last third of gestation. Commenters stated 
that this principle should apply to those animals born on the farm and 
those purchased as replacement and expansion animals to increase herd 
size.
    Commenters stated that only allowing organic dairy operations to 
add animals who have been managed organically since the last third of 
gestation supports consumer confidence in the organic milk sector. They 
reiterated that consumers expect that organic milk is produced without 
the use of excluded methods and substances prohibited under the 
regulations (i.e., hormones, antibiotics, and certain animal 
medications), and believe that greater clarity on how animals can 
transition into organic production is needed. Some commenters stressed 
that organic dairy products were keystone products for consumer 
confidence and a major stepping-stone to additional purchases in other 
organic categories.
    Commenters stated that continued transition of conventional animals 
increases the supply of animals able to produce organic milk, depresses 
the value of organic heifers and limits the incentives to produce 
organic replacement animals. They also stated that the allowance to 
transition a large number of animals, rather than purchasing or raising 
animals as organic from last third of gestation, results in surplus 
organic heifer calves being sold into the conventional market. Some 
commenters stated that the practice of allowing some operations to 
transition conventional animals on a regular basis encouraged 
development of heifer development farms. They based this belief on the 
position that it is easier and cheaper to purchase transitioned animals 
from heifer development farms than it is to raise animals that are 
organic from birth. Commenters claimed that raising organic dairy 
animals is twice as expensive as raising conventional dairy animals 
during their first year of life. They contended that producers who sell 
organic calves and replace them with transitioned conventionally raised 
heifers, have an economic advantage over those who raise animals 
organically from birth, due to lower cost of conventional feed and 
ability to shorten the interval before milk production by purchasing 
older animals. Commenters believed that for the organic heifer market 
to develop, and for there to be more organic stock available at an 
appropriate market value, greater clarity is needed in the regulations 
to convey that organic heifers are required in every case, except for 
the one-time initial transition of a dairy operation.
    At the time of the 2006 proposed rule, commenters stated that at 
least nine U.S.-based certifying agents were requiring the dairy 
operations they certified (approximately 1,100 certified and 150 
transitioning operations) to manage all replacement dairy animals 
organically from the last third of gestation. This accounted for 
roughly 50% of the organic dairy operations at that time. Other 
certifying agents were allowing the other approximately 50% of dairy 
operations to transition conventional animals to organic on a continual 
basis. Commenters stressed that a main purpose of the OFPA was consumer 
assurance that organically produced products met a consistent

[[Page 23460]]

standard and that the current origin of livestock standard needs 
further specificity to meet that purpose.
    Since receiving these comments in response to the 2006 proposed 
rule, diverse stakeholders including trade associations, organic dairy 
producer groups, consumer organizations, and certifying agents continue 
to submit letters to NOP requesting greater clarity on the origin of 
livestock provisions of the regulations. In response to those requests, 
NOP engaged stakeholders in ongoing discussions over the last two years 
related to potential changes and any associated costs and benefits of 
these changes. AMS developed this proposed rule in response to the 
public comments and feedback we have received regarding the origin of 
livestock provisions.

III. Overview of Proposed Amendments

A. Dairy Transition

    AMS is proposing to add five new terms: Organic management, dairy 
farm, transitioned animal, transitional crop, and third-year 
transitional crop to those defined at section 205.2. Organic management 
would be defined as management of an organic production or handling 
operation in compliance with all applicable production and handling 
provisions under the regulations. Stakeholders have questioned whether 
the term ``organic management'' in the regulations is related to 
compliance with the regulations or to some other generic use or 
understanding of the term. Providing a definition for this term would 
confirm that its use is directly tied to the regulations. For example, 
the regulations allow crops and forage in their third year of organic 
management to be fed to livestock transitioning to organic production. 
In the case of crops and forage in their third year of organic 
management, this means that the land they are grown on must meet 
certain requirements of the regulations as it transitions into 
certified organic production (e.g., per section 205.202(b), no 
prohibited substances applied to land). Further, during the transition 
period for dairy animals, they must be under organic management in 
compliance with the regulations. This means producers need to meet all 
of the livestock requirements during that transition period (e.g., per 
section 205.237, provide animals with a specified amount of dry matter 
from pasture during the farm's grazing season).
    Under this proposal, AMS would define a dairy farm as a premises, 
which must have a milking parlor, where one or more lactating animals 
raised on that premises are milked. This definition is similar to the 
definitions of a dairy farm used by the AMS Dairy Grading Program.\24\
---------------------------------------------------------------------------

    \24\ USDA AMS. July 2011. Milk for Manufacturing Purposes and 
its Production and Processing. Recommended Requirements. Dairy 
Programs.
---------------------------------------------------------------------------

    This proposal would define a transitioned animal to clarify which 
animals are eligible to produce organic milk, but are not eligible for 
certification as organic slaughter stock or eligible for certification 
for purpose of organic fiber production. This definition supports the 
current requirement that meat or fiber come from animals under 
continuous organic management since the last third of gestation (7 CFR 
205.236(a)). The transitioned animal definition and its relevance to 
this action are discussed in more detail below.
    This proposal would define a transitional crop as any agricultural 
crop or forage from land, included in the organic system plan of a 
producer's operation, that has had no application of prohibited 
substances within one year prior to harvest of the crop or forage. 
Based upon this definition, AMS would add a related definition for 
third-year transitional crop. A third-year transitional crop would be 
defined as crops and forage from land, included in the organic system 
plan of a producer's operation, that has had no application of 
prohibited substances within 2 years prior to harvest of the crop or 
forage. Third-year transitional crops need to meet all other 
requirements of the regulations (e.g., soil fertility and crop nutrient 
management practice standard (section 205.203); use of organic seed if 
commercially available (section 205.204)). OFPA and the regulations 
currently allow producers to feed these third year transitional crops 
to dairy animals in transition (7 U.S.C. 6509(e)(2)(b); existing 
section 205.236(a)(2)(i)).
    AMS is proposing to amend the introductory text at section 
205.236(a)(2) to reflect that the one-time exception to transition to 
organic dairy production would be limited to a given producer. A 
producer is defined under the regulations as ``a person who engages in 
the business of growing or producing food, fiber, feed, and other 
agricultural-based consumer products'' (section 205.2). The regulations 
also define a person as an ``individual, partnership, corporation, 
association, cooperative or other entity'' (section 205.2). This 
definition is based on the definition of person under OFPA (7 U.S.C 
6502(15)). A producer must be a person as described in section 205.2 to 
be eligible for a one-time transition. Because the one-time transition 
is tied to the producer (i.e., a farm or business), employees of that 
producer are not themselves considered a producer utilizing a one-time 
transition. Under the proposal, such employees would retain their 
ability to establish a new business entity as a producer that may be 
eligible for its own one-time transition.
    In addition, while the definition of person includes cooperatives, 
cooperatives would not themselves seek a one-time exception to 
transition animals into organic production. There are business 
entities, including cooperatives, within the organic dairy sector that 
are typically certified as organic handlers, not as organic producers, 
and who would not meet the definition of a dairy farm. Instead, these 
entities contract with multiple organic producers for their milk 
supply. Under this proposal, the eligibility for a one-time transition 
is tied to a producer, as specified on an organic certificate, and they 
would need to meet the definition of a dairy farm and other proposed 
requirements.
    Dairy producers with multiple farms would need to make a decision 
about how to transition to organic production. Producers with multiple 
farms have a single twelve month period in which they may transition 
conventional dairy animals to organic milk production. During this 
transition period, these producers may transition all animals on all 
the farms, some of the animals on some of the farms, all the animals on 
one of the farms, or some of the animals on one of the farms. The 
producer would initiate the transition to organic milk production at 
least 12 months prior to completing the transition and obtaining 
organic certification. However, once the transition period ends, the 
producers may not themselves transition any additional animals into 
organic production. Instead, they would need to source animals as 
organically managed since the last third of gestation or those already 
transitioned to organic production on a different producer's dairy 
farm.
    The proposed amendments would replace the current text at section 
205.236(a)(2) to specify that each producer would be able to conduct 
one transition. To be eligible for a transition, the proposal language 
specifies that the producer must start a new organic dairy farm or 
transition an existing conventional dairy farm to organic 
certification. This transition would need to occur over a single, 
continuous 12-month period prior to production of milk or milk products 
that are to be sold, labeled, or represented as organic.

[[Page 23461]]

After completing a transition, that producer would not be able to 
transition any new animals into organic production.
    For example, if producer A already completed a transition on dairy 
farm A, then producer A would not be eligible to transition animals 
into organic production on dairy farm B. Under this proposal, once a 
producer completes its transition of dairy animals into organic 
production, a producer would have two options for bringing any new 
dairy animals onto a producer's organic dairy farm(s) (whether for 
expansion or replacement purposes): (1) Add animals that are under 
continuous organic management from the last third of gestation; or (2) 
add transitioned animals sourced from a certified organic dairy 
producer.
    Because the dairy farm definition, in part, would drive the 
eligibility for a producer to transition animals to organic production, 
producers that only raise heifers for organic dairy farms would not be 
eligible to transition conventional animals to organic. Such producers 
do not milk animals and, therefore, would not be eligible for a 
transition. Such producers could continue raising heifers for organic 
dairy farms as long as the animals were under continuous organic 
management from the last third of gestation.
    AMS considered alternatives to our proposal that would link the 
transitioned exception to a producer. These alternatives included 
linking the one-time transition exception to a dairy farm, an 
operation, persons responsibly connected, and the current unit of 
regulation, a herd. We did not choose the dairy farm by itself as the 
criterion for eligibility to transition because it would allow a given 
producer to transition dairy animals on multiple dairy farms over time. 
This proposal was drafted to create greater consistency in the 
implementation of the transition mechanism so that it is not used as a 
continual means of producing organic milk without purchasing organic 
stock once a producer has converted to organic production. Furthermore, 
AMS could not identify how a producer and a certifying agent could 
verify that a transition had not already occurred on a given dairy 
farm. This would be especially difficult as time went on and a dairy 
farm may have changed ownership multiple times. By linking the 
transition to a given producer, a producer (e.g., an individual or a 
corporation) can attest to a certifying agent as part of their 
application for certification that they have not already completed a 
dairy transition and certifying agents could verify such attestations 
by checking past certification records associated with that producer.
    AMS also considered linking the transition exception to the 
operation. Based on stakeholder feedback and past NOSB recommendations, 
the term ``operation'' is used at times, as is the term ``producer'', 
to describe how a one-time exception to transition into organic dairy 
production could be structured. Upon review, AMS is proposing to link 
the transition to a given producer rather than an operation because 
both producer and person are already defined under OFPA and the 
implementing regulations.
    Other stakeholders suggested limiting the transition such that 
after an operation completed its one-time transition, any persons 
responsibly connected to that operation could not transition additional 
animals into organic production. ``Responsibly connected'' is defined 
under the current regulations as ``any person who is a partner, 
officer, director, holder, manager, or owner of 10 percent or more of 
the voting stock of an applicant or a recipient of certification or 
accreditation'' (7 CFR 205.2). This approach would require a person 
with an operation to list all persons responsibly connected to that 
operation to document the relationship various individuals had to the 
dairy farm. This approach would be difficult to document and difficult 
for a certifier to verify for the purpose of certification. This 
approach also would be overly prescriptive. For example, under this 
approach, new managers on a farm, who had never been part of a 
transition, would be restricted from starting a new dairy farm on a 
different location and completing their own transition of dairy animals 
into organic production. This approach could also restrict the ability 
for children of organic dairy producers to transition animals into 
organic production. Children could be ``responsibly connected'' to 
their parents' farm if they served as managers or partners. If their 
parents had already completed a transition, then these children, who 
were managers or partners, could not transition any additional animals 
if they bought that farm because they would be considered ``responsibly 
connected'' to the parents' operation. For these reasons, AMS is not 
proposing this approach. Rather, under the proposed language that a 
one-time exception is tied to a given ``producer'', employees, such as 
managers or partners, including children, could start up a new business 
entity with a dairy farm and be eligible for their own one-time 
transition.
    AMS also did not choose the current herd standard because a given 
operation can have a new herd every year, or even multiple per year, 
allowing farmers to transition new animals annually, if not more often. 
The intent of our proposal is to provide a clear, consistent standard 
that when implemented will reflect the NOSB recommendation to allow for 
a producer to use a one-time transition of animals into organic milk 
production. Providing a producer with a one-time exception to 
transition dairy animals to organic milk production best captures the 
intent of the NOSB's recommendation. It also supports the concept 
discussed in the 2000 final rule establishing the USDA organic 
regulations that transition to organic dairy should be a distinct, one-
time event for a producer.\25\
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    \25\ 65 FR 80569-80570.
---------------------------------------------------------------------------

    Under the proposed amendments, any transition would need to meet 
certain conditions. Proposed section 205.236(a)(2)(i) would specify 
that dairy animals must be under continuous organic management during 
the 12-month transition period. This aligns with the provision in OFPA 
which requires that dairy animals be managed as organic for at least 12 
months prior to the production of organic milk.\26\ During the 12-month 
period, proposed section 205.236(a)(2)(ii) would specify that the 
producer should describe its transition approach as part of the organic 
system plan already required at section 205.200. Under existing section 
205.401, the producer must submit this organic system plan as part of 
an application for certification to a certifying agent. We are 
proposing this provision to ensure that applicants for organic 
certification can demonstrate their ability to comply early on in the 
certification process. The intent is to support communication between 
the applicant and the certifying agent about the transition approach 
and to minimize situations in which a producer approaches a certifying 
agent after 12 months of transitioning animals only to realize that 
they did not complete the transition as specified in the regulations.
---------------------------------------------------------------------------

    \26\ 7 U.S.C. 6509(e)(2)(A).
---------------------------------------------------------------------------

    This proposal would make minor revisions to a provision under the 
current regulations that allows dairy animals undergoing transition to 
consume ``third-year'' crops. The proposed provision would appear at 
section 205.236(a)(2)(iii) and would specify that, during the 12-month 
transition, dairy animals may consume third-year transitional crops 
which this proposal would define at section 205.2.

[[Page 23462]]

    During the development of this proposed rule, the exception for 
transitioning dairy animals raised the question about the eligibility 
of those animals and their offspring for certification as organic 
slaughter stock or for the purpose of organic fiber. Third-year crops 
and forages are allowed by OFPA as feed for transitioned animals that 
will produce organic milk.\27\ However, these crops are not yet 
certified organic and should be treated as nonorganic feeds when 
determining if an animal has been raised organically since the last 
third of gestation.
---------------------------------------------------------------------------

    \27\ 7 U.S.C. 6509(e)(2)(B).
---------------------------------------------------------------------------

    Therefore, to clarify the status of offspring born during and just 
after the transition period and whether they would be eligible for 
certification as organic slaughter stock or for organic fiber, AMS is 
proposing to add a definition for a transitioned animal at section 
205.2. Transitioned animal would be defined as: (1) Any dairy animal 
that transitioned during the one-time transition exception to organic 
milk production after 12 months of continuous organic management; (2) 
any offspring born during or after the 12- month transition period to a 
transitioned animal that, during its last third of gestation, consumes 
crops and forages in the third year of organic management; or (3) any 
offspring born during the one-time transition exception that themselves 
consume crops and forages in the third year of organic management. The 
proposed definition specifies that such animals must not be sold, 
labeled, or represented as organic slaughter stock or for the purpose 
of organic fiber.\28\ The current regulations already require that 
slaughter stock and livestock, with the exception of poultry and 
certain dairy animals, be under continuous organic management since the 
last third of gestation (7 CFR 205.236(a)). This proposed rule does not 
change, but rather reiterates how that requirement applies to animals 
that were part of a dairy transition. This term is used in proposed 
section 205.236(a)(2)(iv) which specifies that offspring must be 
considered transitioned animals if they were born during or after the 
12-month dairy herd transition period and not fed certified organic 
feed from the last third of gestation onward.
---------------------------------------------------------------------------

    \28\ Organic slaughter stock is defined in the regulations as 
any animal intended to be slaughtered for consumption by humans or 
other animals (7 CFR 205.2).
---------------------------------------------------------------------------

    For a producer and certifying agent to determine whether offspring 
is eligible for organic dairy, meat and/or fiber, the length of 
gestation for different dairy animals (e.g., cows, goats, sheep) and 
feed source must be considered. For offspring to be certified organic 
for meat and fiber, it must be under continuous organic management, 
including receiving certified organic feed, from the last third of 
gestation (7 CFR 205.236(a)). This requirement is reiterated through 
proposed section 205.236(a)(2)(v). A practical summary of how 
certifying agents and producers would apply the proposed amendments 
about the status of offspring at sections 205.236(a)(2)(iv)-(v) is 
shown in Table 1.

                             Table 1--Status of Offspring Part of a Dairy Transition
----------------------------------------------------------------------------------------------------------------
  Type of feed consumed by offspring                             Could it be certified    Could it be certified
 during transition or during its last     Is it considered a       to produce organic    to produce organic meat
          third of gestation             transitioned animal?            milk?                  or fiber?
----------------------------------------------------------------------------------------------------------------
Third year transitional crops........  Yes....................  Yes....................  No.
Certified organic crops..............  No.....................  Yes....................  Yes.
----------------------------------------------------------------------------------------------------------------

    Proposed section 205.236(a)(2)(vi) would require that all dairy 
animals for a given producer end the transition at the same time. AMS 
considered allowing dairy animals to have staggered transition periods, 
but chose not to allow that option as it could complicate the 
transition process. As a practical matter, a staggered transition would 
create more difficulty in animal management for the producer since 
animal transitions would start and end at different times. Furthermore, 
it would require more advanced records management creating a greater 
burden on the producer, more difficulty in overseeing the process, and 
increased room for error or potential violation. If a producer wants to 
bring in additional animals after the producer completes its 
transition, then the producer may use breeder stock or source organic 
dairy animals (either last third gestation animals or transitioned 
animals from a certified organic dairy farm that already completed its 
transition). If a producer decides to increase the number of animals 
undergoing transition during a one-time transition period, then the 
producer could (1) source organic dairy animals, or (2) source 
nonorganic animals and extend the transition period for all animals 
undergoing transition such that they end their transition together 
after 12-months of organic management.
    Proposed section 205.236(a)(2)(vii) would specify that dairy 
animals that completed the 12-month transition are transitioned animals 
as defined under section 205.2. In practical terms, this would mean 
that these dairy animals can produce organic milk, but are not eligible 
for certification as organic slaughter stock or for the purpose of 
organic fiber. This is consistent with the existing requirement at 
section 205.236(a) that, with the exception of poultry and dairy, 
livestock products must be from animals that are under continuous 
organic management since the last third of gestation.
    Proposed section 205.236(a)(2)(viii) would specify that, after the 
12 month transition period, transitioned animals may produce organic 
milk on any organic dairy farm as long as the animal is under 
continuous organic management at all times on a certified organic dairy 
farm. Movement of transitioned animals to other certified organic 
dairies would not affect the status of the animals to produce organic 
milk. Based on some stakeholder comments, AMS considered limiting 
transitioned animals to produce organic milk only on the dairy farm 
upon which they were transitioned. However, AMS believes that some 
movement or inter-farm sales of transitioned animals is reasonable and 
expected. For example, if an existing organic dairy producer purchased 
an adjoining organic farm, it may be necessary for that farmer's 
transitioned animals to leave their original premises of transition to 
take advantage of the new adjoining pastureland. Similarly, if an 
organic dairy producer wanted to move his/her operation to an updated 
organic facility on another property, it would create an excessive 
burden if transitioned animals were not permitted to move to the new 
facility. This provision will also allow

[[Page 23463]]

the transitioned dairy animals to continue producing organic milk if 
there is a change in ownership to a different producer, provided the 
dairy animals are under continuous organic management throughout this 
time.
    AMS is also proposing new section 205.236(ix) to specify that, 
after the 12-month period ends, any new dairy animal brought onto a 
producer's dairy farm(s) must be an animal under continuous organic 
management from the last third of gestation or a transitioned animal 
sourced from a certified organic dairy farm. This provision would 
ensure that, after a producer completes one transition on a dairy farm, 
that producer would not be allowed to themselves transition additional 
dairy animals into organic production on any dairy farm. This 
requirement supports the NOSB's intent that transition should be a one-
time event for producers to transition to organic dairy and is intended 
to create one standard that would be equally applied to all dairy 
operations once they have transitioned to certified organic production.
Implementation Considerations
    Certifying agents would have certain responsibilities under this 
proposed rule. Certifying agents would need to:
     Establish and maintain procedures for determining whether 
or not a producer (e.g. a new applicant for certification) is eligible 
to transition dairy animals into organic production and for determining 
whether offspring that are part of a transition are eligible to produce 
organic milk, meat or fiber;
     Ensure that certified organic dairy producers maintain 
sufficient records (7 CFR 205.103) to identify all organically managed 
animals, including whether they are transitioned animals and, thus, not 
eligible for certification as organic slaughter stock (7 CFR 
205.236(b)(2) and 205.236(c));
     Hire and/or train sufficient, qualified staff (7 CFR 
205.501(a)(4)) to examine production and certification history of 
certified organic dairy producers or applicants for certification which 
involve the transition of dairy animals from conventional to organic 
production; and
     Maintain records of applications for certification or 
certified operations, including records pertaining to the origin of all 
livestock, for at least 10 years from the date of their creation, 
pursuant to section 205.510(b)(2).
    Certifying agents already address many of these responsibilities 
through the current regulations. For example, certifying agents should 
have procedures in place to ensure that operations identify whether 
dairy animals are organically managed from the last third of gestation 
and, thus, potentially eligible for certification as organic slaughter 
stock, or transitioned into organic production, and, thus, not eligible 
as organic slaughter stock (section 205.236(b)(2) and (c)). The primary 
new responsibility for certifying agents will be establishing and 
implementing a procedure for determining whether a producer is eligible 
for a one-time transition. AMS is seeking comments from certifying 
agents on how these responsibilities are best implemented given the 
proposed action.
    In addition, organic livestock producers are already required to 
maintain records that fully disclose all activities and transactions of 
the certified operation in sufficient detail as to be readily 
understood and audited (7 CFR 205.103(b)(2)). Under existing 
regulation, section 205.236(c), organic producers must already maintain 
records sufficient to preserve the identity of all organically managed 
animals. Examples of records to verify compliance with the origin of 
livestock requirements include livestock purchase records, organic 
certificates for livestock purchased as organic, animal reproduction: 
breeding, birth and/or hatch records, and herd conversion/organic 
management records.\29\ Under this proposed rule, organic dairy 
producers would need to maintain the same records. There are no new 
records that would be required under this proposal. In accordance with 
Office of Management and Budget (OMB) regulations (5 CFR part 1320) 
that implement the Paperwork Reduction Act (44 U.S.C. 3501-3520) (PRA), 
the information collection requirements associated with the NOP, 
including the recordkeeping and reporting requirements related to 
origin of livestock, have been previously approved by OMB and assigned 
OMB control number 0581-0191.
---------------------------------------------------------------------------

    \29\ National Organic Program. March 2011. Organic Livestock 
Plan Template, Origin of Livestock: L2-page 1. Available online at: 
http://www.ams.usda.gov/AMSv1.0/getfile?dDocName=STELPRDC5091032.
---------------------------------------------------------------------------

    AMS also recognizes that some producers and certifying agents will 
need time to implement any regulatory changes. Over the last several 
years, the NOSB and stakeholders have been engaged in extensive 
discussion about how organic dairies would need to change their 
practices as a result of any modification to the current USDA organic 
regulations. AMS is considering and seeking public comment on the 
following implementation proposal: Producers who are certified as of 
the effective date for any final action would be allowed to complete 
any transition that was already approved under their organic system 
plan by a certifying agent. However, as of the effective date, 
producers who are certified would be required to source or raise any 
new animals from last third of gestation or source animals already 
transitioned under another producer's one-time exception. As of the 
effective date, producers who are new applicants for organic 
certification (i.e., startup organic dairies or nonorganic dairies 
transitioning to organic production) would be allowed to use the 
transition exception once when first applying for organic 
certification.
    Under the current regulations at section 205.672, organic dairy 
animals can return to organic milk production if a Federal or state 
emergency pest or disease treatment program requires use of a 
prohibited substance. This allowance for re-transition is independent 
of the transition exception being proposed here. A dairy farm, that had 
not used its one-time exception to transition based on section 205.236, 
would retain that one-time exception to transition even if the farm 
used the section 205.672 allowance to re-transition after an emergency 
pest or disease treatment.
    Under the current regulations at section 205.290, organic 
producers, through their certifying agent, can request a temporary 
variance from the livestock practice standards for reasons such as 
natural disasters, severe weather and other business interruptions. The 
NOP Instruction on Processing Requests for Temporary Variances (NOP 
2606) \30\ clarifies the policy that variances will not be granted for 
feeding non-organic feed to livestock.
---------------------------------------------------------------------------

    \30\ NOP 2606. July 22, 2011. Available online at: http://www.ams.usda.gov/AMSv1.0/getfile?dDocName=STELPRDC5087115.
---------------------------------------------------------------------------

B. Breeder Stock

    Under this proposal, AMS would restructure section 205.236(a)(3) to 
reiterate that breeder stock may be brought from a nonorganic operation 
onto an organic operation at any time and to further clarify how 
breeder stock should be managed for the purpose of producing organic 
offspring.
    Consistent with an April 2003 NOSB recommendation on breeder stock, 
AMS considered amending the regulations at existing section 
205.236(a)(3) to require that breeder stock that was brought onto an 
organic farm, but subsequently was removed from organic management, be 
prohibited from returning as breeder

[[Page 23464]]

stock for the purpose of organic production. The NOSB recommendation 
suggests that allowing breeder stock to return to organic management 
after a period of nonorganic management does not align with a 
regulatory provision that prohibits livestock removed from an organic 
operation and subsequently managed on a nonorganic operation to be 
sold, labeled, or represented as organically produced (7 CFR 
205.236(b)).\31\
---------------------------------------------------------------------------

    \31\ National Organic Standards Board Recommendation May 2003 on 
Breeder Stock: Clarification of Rule. Available online at: http://www.ams.usda.gov/AMSv1.0/getfile?dDocName=STELDEV3104547.
---------------------------------------------------------------------------

    However, OFPA states that breeder stock may be purchased from any 
source (7 U.S.C. 6509(b)); there is no requirement in OFPA that the 
source be organic. Further, while the current regulations at section 
205.236(b)(1) prohibit livestock from being removed and subsequently 
managed on a nonorganic operation (i.e., cycling in and out of organic 
production), this provision does not extend to nonorganic breeder stock 
that are themselves not certified organic or eligible for slaughter, 
sale, and labeling as organic (7 CFR 205.236(b)(2)). Therefore, AMS 
does not believe that restrictions on how nonorganic breeder stock are 
managed outside of the last third of gestation through weaning of 
organic offspring are warranted.
    At proposed sections 205.236(a)(3) and 205.236(a)(3)(i), AMS is 
reiterating that breeder stock may be brought from a nonorganic 
operation onto an organic operation at any time as long as such breeder 
stock are on the organic operation no later than the last third of 
gestation. In practical terms, this means that between the end of 
nursing its organic offspring and the beginning of the last third of 
gestation for the next organic offspring, nonorganic breeder stock may 
be managed as the producer chooses. If a producer is managing 
nonorganic breeder stock on its organic operation, the current 
regulations already require that they implement practices to prevent 
contact of organic animals with prohibited substances (e.g., from 
certain fly tags that might be used with nonorganic breeder stock) (7 
CFR 205.201(a)(5)).
    AMS is proposing a provision related to organic management of 
breeder stock only when the breeder stock is directly contributing to 
the nourishment of organic offspring, from the last third of gestation 
through the end of the nursing period. Under proposed section 
205.236(a)(3)(ii), such breeder stock would need to be managed 
organically throughout the last third of gestation and the lactation 
period during which time they may nurse their own offspring. Allowing 
organic calves to nurse on nonorganic breeder stock as long as they are 
all under organic management supports the natural behavior of the 
animals (7 CFR 205.239(a)). Breeder stock may not be used as nurse cows 
on dairy farms to be a source of milk for other organic calves, though 
inadvertent suckling by non-offspring would not cause loss of organic 
status to the calves.

C. Additional Clarifications

    In conjunction with the proposed amendments discussed above, AMS is 
proposing additional amendments to provide greater clarity on the 
restrictions at sections 205.236(b)(1) and 205.236(b)(2). Section 
205.236(b)(1) states that livestock or edible livestock products that 
are removed from an organic operation and subsequently managed on a 
nonorganic operation may not be sold, labeled, or represented as 
organically produced. We are proposing the addition of ``non-edible'' 
to this provision to specify that non-edible animal products, such as 
animal fiber, are also subject to this provision. Section 205.236(b)(2) 
is proposed to be amended to specify that transitioned animals must not 
be sold, labeled, or represented as organic slaughter stock. This 
change is needed for consistency with the proposed definition for 
transitioned animal and the proposed provisions for dairy transition.
    We are also proposing a change to section 205.236(c) to reiterate 
that producers are responsible for maintaining records that show 
whether a dairy animal is a transitioned animal and, therefore, not 
eligible for certification as organic slaughter stock or for the 
purpose of organic fiber. Producers should already be tracking whether 
an animal is eligible for organic slaughter or fiber given the last 
third of gestation requirement. Table 2 provides an overview of all the 
proposed amendments.

D. Other Amendments Considered

    AMS recently received requests from stakeholders to consider 
providing an exception to transition fiber producing animals to organic 
fiber production, just as dairy animals can be transitioned to organic 
milk production. OFPA authorizes a transition for dairy animals 
entering organic milk production. As such, AMS is not proposing a 
transition for fiber under this proposed rule. In practical terms, this 
means that producers can transition sheep from conventional milk 
production to organic milk production, but would need to source animals 
organically managed since the last third of gestation in order to 
produce organic wool.

                                  Table 2--Proposed Action--Origin of Livestock
----------------------------------------------------------------------------------------------------------------
            Section title                  Current wording           Type of action          Proposed action
----------------------------------------------------------------------------------------------------------------
205.2................................  N/A....................  New terms added........  Dairy Farm, Organic
                                                                                          Management, Third-Year
                                                                                          Transitional Crop,
                                                                                          Transitional Crop,
                                                                                          Transitioned animal.
205.236(a)...........................  Livestock products that  No Change..............  N/A--Included for
                                        are to be sold,                                   Completeness.
                                        labeled, or
                                        represented as organic
                                        must be from livestock
                                        under continuous
                                        organic management
                                        from the last third of
                                        gestation or hatching:
                                        Except, That:
205.236(a)(1)........................  Poultry. Poultry or      No Change..............  N/A--Included for
                                        edible poultry                                    Completeness.
                                        products must be from
                                        poultry that has been
                                        under continuous
                                        organic management
                                        beginning no later
                                        than the second day of
                                        life;

[[Page 23465]]

 
205.236(a)(2)........................  Dairy animals. Milk or   Revision...............  Dairy animals. A
                                        milk products must be                             producer as defined in
                                        from animals that have                            Sec.   205.2 may
                                        been under continuous                             transition dairy
                                        organic management                                animals into organic
                                        beginning no later                                production only once.
                                        than 1 year prior to                              A producer is eligible
                                        the production of the                             for this transition
                                        milk or milk products                             only if the producer
                                        that are to be sold,                              starts a new organic
                                        labeled, or                                       dairy farm or converts
                                        represented as                                    an existing nonorganic
                                        organic, Except,                                  dairy farm to organic
                                                                                          production. A producer
                                                                                          must not transition
                                                                                          any new animals into
                                                                                          organic production
                                                                                          after completion of
                                                                                          this one-time
                                                                                          transition. This
                                                                                          transition must occur
                                                                                          over a continuous 12-
                                                                                          month period prior to
                                                                                          production of milk or
                                                                                          milk products that are
                                                                                          to be sold, labeled,
                                                                                          or represented as
                                                                                          organic, and meet the
                                                                                          following conditions:
205.236(a)(2)(i).....................  That, crops and forage   Revision...............  During the 12-month
                                        from land, included in                            period, dairy animals
                                        the organic system                                must be under
                                        plan of a dairy farm,                             continuous organic
                                        that is in the third                              management;
                                        year of organic
                                        management may be
                                        consumed by the dairy
                                        animals of the farm
                                        during the 12-month
                                        period immediately
                                        prior to the sale of
                                        organic milk and milk
                                        products; and
205.236(a)(2)(ii)....................  That, when an entire,    Revision...............  During the 12-month
                                        distinct herd is                                  period, the producer
                                        converted to organic                              should describe the
                                        production, the                                   transition as part of
                                        producer may, provided                            its organic system
                                        no milk produced under                            plan and submit this
                                        this subparagraph                                 as part of an
                                        enters the stream of                              application for
                                        commerce labeled as                               certification to a
                                        organic after June 9,                             certifying agent, as
                                        2007: (a) For the                                 required in Sec.
                                        first 9 months of the                             205.401;
                                        year, provide a
                                        minimum of 80-percent
                                        feed that is either
                                        organic or raised from
                                        the land included in
                                        the organic system
                                        plan and managed in
                                        compliance with
                                        organic crop
                                        requirements; and (b)
                                        Provide feed in
                                        compliance with Sec.
                                        205.237 for the final
                                        3 months.
205.236(a)(2)(iii)...................  Once an entire,          Revision...............  During the 12-month
                                        distinct herd has been                            period, dairy animals
                                        converted to organic                              and their offspring
                                        production, all dairy                             may consume third year
                                        animals shall be under                            transitional crops;
                                        organic management
                                        from the last third of
                                        gestation.
205.236(a)(2)(iv)....................  N/A....................  New section added......  Offspring born during
                                                                                          or after the 12-month
                                                                                          period are
                                                                                          transitioned animals
                                                                                          if they consume third-
                                                                                          year transitional
                                                                                          crops during the
                                                                                          transition or if the
                                                                                          mother consumes third
                                                                                          year transitional
                                                                                          crops during the
                                                                                          offspring's last third
                                                                                          of gestation;
205.236(a)(2)(v).....................  N/A....................  New section added......  Offspring born from
                                                                                          transitioning dairy
                                                                                          animals are organic if
                                                                                          they are under
                                                                                          continuous organic
                                                                                          management and if only
                                                                                          certified organic
                                                                                          crops and forages are
                                                                                          used from their last
                                                                                          third of gestation;
205.236(a)(2)(vi)....................  N/A....................  New section added......  All dairy animals must
                                                                                          end the transition at
                                                                                          the same time;

[[Page 23466]]

 
205.236(a)(2)(vii)...................  N/A....................  New section added......  Dairy animals that
                                                                                          complete the
                                                                                          transition are
                                                                                          transitioned animals
                                                                                          and must not be used
                                                                                          for organic livestock
                                                                                          products other than
                                                                                          organic milk;
205.236(a)(2)(viii)..................  N/A....................  New section added......  After the 12-month
                                                                                          period ends,
                                                                                          transitioned animals
                                                                                          may produce organic
                                                                                          milk on any organic
                                                                                          dairy farm as long as
                                                                                          the animal is under
                                                                                          continuous organic
                                                                                          management at all
                                                                                          times on a certified
                                                                                          organic operation; and
205.236(a)(2)(ix)....................  N/A....................  New section added......  After the 12-month
                                                                                          period ends, any new
                                                                                          dairy animal brought
                                                                                          onto a producer's
                                                                                          dairy farm(s) for
                                                                                          organic milk
                                                                                          production must be an
                                                                                          animal under
                                                                                          continuous organic
                                                                                          management from the
                                                                                          last third of
                                                                                          gestation or a
                                                                                          transitioned animal
                                                                                          sourced from another
                                                                                          certified organic
                                                                                          dairy farm.
205.236(a)(3)........................  Breeder stock.           Revision...............  Breeder stock.
                                        Livestock used as                                 Livestock used as
                                        breeder stock may be                              breeder stock may be
                                        brought from a                                    brought from a
                                        nonorganic operations                             nonorganic operation
                                        onto an organic                                   onto an organic
                                        operation at any time:                            operation at any time,
                                        Provided, that, if                                Provided, That the
                                        such livestock are                                following conditions
                                        gestating and the                                 are met:
                                        offspring are to be
                                        raised as organic
                                        livestock, the breeder
                                        stock must be brought
                                        onto the facility no
                                        later than the last
                                        third of gestation.
205.236(a)(3)(i).....................  N/A....................  New section added......  Such breeder stock must
                                                                                          be brought onto the
                                                                                          operation no later
                                                                                          than the last third of
                                                                                          gestation if its
                                                                                          offspring are to be
                                                                                          raised as organic
                                                                                          livestock; and
205.236(a)(3)(ii)....................  N/A....................  New section added......  Such breeder stock must
                                                                                          be managed organically
                                                                                          throughout the last
                                                                                          third of gestation and
                                                                                          the lactation period
                                                                                          during which time they
                                                                                          may nurse their own
                                                                                          offspring.
205.236(b)...........................  The following are        No Change..............  N/A--Included for
                                        prohibited:                                       Completeness.
205.236(b)(1)........................  Livestock or edible      Revision...............  Livestock, edible
                                        livestock products                                livestock products, or
                                        that are removed from                             nonedible livestock
                                        an organic operation                              products such as
                                        and subsequently                                  animal fiber that are
                                        managed on a                                      removed from an
                                        nonorganic operation                              organic operation and
                                        may not be sold,                                  subsequently managed
                                        labeled or represented                            on a nonorganic
                                        as organically                                    operation may not be
                                        produced.                                         sold, labeled, or
                                                                                          represented as
                                                                                          organically produced.
205.236(b)(2)........................  Breeder or dairy stock   Revision...............  Breeder stock, dairy
                                        that has not been                                 stock, or transitioned
                                        under continuous                                  animals that have not
                                        organic management                                been under continuous
                                        since the last third                              organic management
                                        of gestation may not                              since the last third
                                        be sold, labeled, or                              of gestation may not
                                        represented as organic                            be sold, labeled, or
                                        slaughter stock.                                  represented as organic
                                                                                          slaughter stock.
205.236(c)...........................  The producer of an       Revision...............  The producer of an
                                        organic livestock                                 organic livestock
                                        operation must                                    operation must
                                        maintain records                                  maintain records
                                        sufficient to preserve                            sufficient to preserve
                                        the identity of all                               the identity of all
                                        organically managed                               organically managed
                                        animals and edible and                            animals, including
                                        nonedible animal                                  whether they are
                                        products produced on                              transitioned animals,
                                        the operation.                                    and edible and
                                                                                          nonedible animal
                                                                                          products produced on
                                                                                          the operation.
----------------------------------------------------------------------------------------------------------------


[[Page 23467]]

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: (1) 67 FR 19375, 
(May 7, 2002); (2) 67 FR 54784, (September 17, 2002); (3) 67 FR 62949, 
(October 19, 2002); and (4) 68 FR 23277, (May 13, 2003). AMS also 
considered NOSB recommendations from June 2, 1994, and March 20, 1998, 
in the development of this proposed rule. NOSB meetings are open to the 
public and allow for public participation.
    AMS published a series of proposed rules that addressed, in part, 
the origin of livestock provisions at: (1) 62 FR 65850, (December 16, 
1997); (2) 65 FR 13512, (March 13, 2000); and (3) 71 FR 24820, (April 
27, 2006). Past final rules relevant to this topic were published at: 
(1) 65 FR 80548, (December 21, 2000); and 71 FR 32803, (June 7, 2006).

V. Statutory and Regulatory Authority

    The Organic Foods Production Act of 1990, as amended, authorizes 
AMS to administer the NOP (7 U.S.C. 6501-6502). Under the NOP, AMS 
oversees national standards for the production and handling of 
organically produced agricultural products. One of the purposes of OFPA 
is to assure consumers that organically produced products meet a 
consistent standard (7 U.S.C. 6501(2)). Section 6509 of the OFPA also 
requires that livestock to be slaughtered, sold or labeled as organic 
be managed in accordance with the Act, allows for the use of breeder 
stock, and provides for an exception to transition dairy stock to 
organic milk production.

 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 rule 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
    This action is necessary to create greater consistency in the 
implementation of a standard for the transition of dairy animals into 
organic production and for the management of breeder stock. AMS has 
determined that the current regulations regarding the transition of 
dairy animals and the management of breeder stock on organic operations 
need additional specificity and clarity to improve AMS' ability to 
efficiently administer the NOP. A stated purpose of the OFPA is to 
assure consumers that organically produced products meet a consistent 
and uniform standard (7 U.S.C. 6501). This action is being taken to 
facilitate and improve compliance and enforcement and to satisfy 
consumer expectations that organic livestock meet a consistent and 
uniform standard, regardless of how a producer transitioned into 
organic production.
    In a 2006 final rule related to this issue, AMS acknowledged that 
the regulations provide different allowances for replacing organic 
dairy animals dependent on how a producer transitioned to organic 
production.\32\ AMS further stated that, given the almost 13,000 
comments on the 2006 proposed rule, the issue remained a significant 
concern of the organic community, including organic dairy producers, 
certifying agents, trade organizations, and consumers. AMS developed 
this proposal in response to this stakeholder feedback.
---------------------------------------------------------------------------

    \32\ 71 FR 32804.
---------------------------------------------------------------------------

    Further, as cited in the July 2013 OIG audit of organic milk 
operations,\33\ implementation of the origin of livestock requirements 
continues to differ across producers and certifying agents. As part of 
this audit, some certifying agents conveyed that the current 
regulations create challenges in implementation such that some organic 
dairy producers may have a competitive advantage over others. 
Similarly, certifying agents and organic operations have recommended 
more detail in the regulations on the management of breeder stock to 
support implementation across the organic sector.
---------------------------------------------------------------------------

    \33\ The July 2013 Office of Inspector General (OIG) audit 
report on organic milk operations may be accessed at the following 
Web site: http://www.usda.gov/oig/webdocs/01601-0002-32.pdf.
---------------------------------------------------------------------------

    This action is also necessary to address the persistent requests to 
AMS for further developed origin of livestock standards that meet the 
expectations of the NOSB and the majority of stakeholders. Setting an 
enforceable practice standard would ensure consistency across the 
industry. Because organic products cannot be distinguished from 
nonorganic products based on sight inspection, 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.34 35 Credence goods have properties 
that are difficult to verify, both before and after purchase. Organic 
dairy products are an example of a ``credence good'' for which 
consistent implementation of a common production standard across the 
sector supports continued consumer confidence. This action would help 
maintain consumer trust in the organic seal. ``Customers'' includes 
both consumers purchasing organic milk, yogurt, butter, ice-cream, and 
cheese at retail markets and organic livestock producers purchasing 
organic dairy animals for their own operations.
---------------------------------------------------------------------------

    \34\ 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.
    \35\ 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. http://www.certcost.org/Lib/CERTCOST/Deliverable/D11_D5.pdf.
---------------------------------------------------------------------------

    While a dairy transition is permitted by the OFPA, this proposed 
rule would limit dairy animal transition. As discussed, AMS received 
extensive comments in 2006 on the issue of dairy transition. Commenters 
stated that consumers expect that organic milk is produced without the 
use of excluded methods and substances prohibited under the regulations 
such as hormones, antibiotics, and certain pesticides. Market research 
suggests that these comments are indicative of a customer base who 
expects ``organic'' to be produced without the use of such substances. 
In 2013, a report assessing trends in the organic market stated that 
consumers identified ``absence of pesticides'', ``absence of growth 
hormones'', and ``absence of antibiotics'' as properties they associate 
with the term ``organic'' in 64%, 59%, and 55% of the responses 
respectively.\36\ Over

[[Page 23468]]

thirty percent of those surveyed for this report indicated that 
avoidance of prohibited substances motivated them to buy organic 
products.\37\ Based on past comments, stakeholders argue that sourcing 
or raising animals as organic from last third of gestation is better 
aligned with the expectation that animals producing organic milk have 
never received prohibited substances such as antibiotics or growth 
hormones.
---------------------------------------------------------------------------

    \36\ The Hartman Group, Inc., The Organic and Natural Consumer 
2013: Traits and Trends. The Cultural Context Around Behavior. Of 
1,569 respondents responding in 2012 to the question, ``From the 
following list, what properties do you think are implied or 
suggested by the term ``organic''?
    \37\ Ibid. Of 1,036 respondents responding in 2012 to the 
question about the reasons why they continue to purchase organic 
products, 38% stated to avoid products that rely on pesticides or 
other chemicals, 34% stated to avoid genetically modified products, 
34% stated to avoid products that rely on growth hormones, and 29% 
stated to avoid products that rely on antibiotics.
---------------------------------------------------------------------------

Baseline
    This baseline focuses on the current market and production of 
heifers and cows as the predominant portion of the industry that would 
be affected and for which data is available. The baseline and 
subsequent calculations do not include quantitative estimates for dairy 
production related to sheep or goats. AMS used multiple data sources to 
describe the baseline and build quantitative estimates for this 
proposed rule. The first source is the NOP list of all certified 
operations. In January of each calendar year, every certifying agent is 
required to submit an annual list of their certified operations to the 
NOP (7 CFR 205.501(a)(15)(ii)). The NOP consolidates this information 
once per year into a public, searchable database.\38\ Another source of 
data is the Organic Trade Association's (OTA) 2014 Organic Industry 
Survey. The Nutrition Business Journal conducts this survey on behalf 
of OTA to summarize market information and trends within the organic 
industry across food and non-food sectors.\39\ AMS also utilized 
information from the National Agricultural Statistics Service (NASS) 
2011 Organic Production Survey.\40\ The NASS data includes acreage, 
production and sales data for organic crops and livestock. USDA's 
Economic Research Service (ERS) also conducts the Agricultural Resource 
Management Survey (ARMS), which includes questions about organic 
production practices.\41\ In 2010, ERS conducted a supplemental ARMS 
that focused on organic dairy operations. AMS worked with ERS to 
analyze recent ARMS data and develop an estimation of organic dairy 
production practices and costs for this proposed rule. Finally, AMS 
used summary information from a 2013 ERS report on organic 
production.\42\ The ERS report was based on data from state and private 
certifying agents.
---------------------------------------------------------------------------

    \38\ The most recent list of certified operations may be found 
at the following link: http://apps.ams.usda.gov/nop/.
    \39\ 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.
    \40\ The NASS survey may be found at the following link: http://usda.mannlib.cornell.edu/MannUsda/viewDocumentInfo.do?documentID=1859.
    \41\ The ERS ARMS survey information may be found at the 
following link: http://www.ers.usda.gov/data-products/arms-farm-financial-and-crop-production-practices.aspx.
    \42\ The ERS 2013 Summary of Organic Production may be found at 
the following link: http://www.ers.usda.gov/data-products/organic-production.aspx.
---------------------------------------------------------------------------

The Organic Dairy Market
    According to the 2013 Organic Trade Association (OTA) Industry 
Survey, U.S. organic food, fiber, and agricultural product sales were 
over $32 billion in 2013, up 11.4 percent from 2012.\43\ Organic dairy 
is the second largest sector in organic retail sales (15.2%), after 
fruits and vegetables (36%). Sales of organic dairy products, including 
milk, cream, yogurt, cheese, butter, cottage cheese, sour cream, and 
ice-cream, reached almost $4.2 billion in 2012. Table 3 shows the 
organic dairy market characteristics by subcategory.
---------------------------------------------------------------------------

    \43\ OTA 2014 Organic Industry Survey.

                           Table 3--Organic Dairy Market--Retail Sales by Subcategory
----------------------------------------------------------------------------------------------------------------
                                                                                                   Percentage of
                           Subcategory                              2013 Sales      2013 Growth    organic dairy
                                                                                     (percent)       sales \a\
----------------------------------------------------------------------------------------------------------------
Milk/Cream......................................................           2,813             7.3            62.7
Yogurt..........................................................           1,021            -0.2            22.8
Cheese..........................................................             331            18.9             7.4
Butter/Cottage Cheese/Sour Cream................................             261            17.9             5.8
Ice-Cream.......................................................              60            19.1             1.3
----------------------------------------------------------------------------------------------------------------
\a\ While Organic Trade Association's 2014 Organic Industry Survey included eggs as a subcategory for its
  summary on organic dairy sales, we have excluded the data on eggs from this table.

    While the majority of organic dairy products are marketed under 
regional or national brands, sales of products under private label 
arrangements accounted for between 30-40% of the organic dairy market 
in 2013.\44\ Both OTA's 2013 and 2014 Organic Industry Surveys cite 
drought and feed costs as the key constraints on market growth. 
However, constraints to market growth vary regionally and across 
different size operations. According to a 2009 ERS report that analyzed 
2005 ARMS data, 55% of farms in the West reported sourcing inputs as 
the most difficult aspect of organic milk production versus only 24% of 
farms in the Upper Midwest region and 19% of farms in the 
Northeast.\45\ This is likely correlated with size of operation since 
organic dairies in the West tend to be larger in size and, therefore, 
have increased feed demand. Certification and compliance were cited as 
the most difficult aspect of organic milk production for farms in the 
Upper Midwest and Northeast (51% and 32% respectively).
---------------------------------------------------------------------------

    \44\ Organic Trade Association (OTA)/Nutrition Business Journal, 
2013 Organic Industry Survey. Private label arrangements allow 
businesses to offer or sell their products under another company's 
brand name, often a store brand.
    \45\ Economic Research Service. 2009. Characteristics, Costs, 
and Issues for Organic Dairy Farming (pg. 33). Report by William 
McBride and Catherine Greene. Statistics based on 2005 ARMS data. 
Report available online at: http://www.ers.usda.gov/publications/err-economic-research-report/err82.aspx.
---------------------------------------------------------------------------

Overview of Organic Dairy Production
    Current dairy production and husbandry practices provide important 
context for the baseline and cost analysis. This section describes 
nonorganic and organic heifer development and highlights how they 
differ. Principles of management for other species would be similar, 
but the timing will be different. For example, a goat begins its first 
lactation at 1 year of age while a cow begins its first lactation at 2 
years of age.

[[Page 23469]]

    When a heifer calf is born on a dairy farm, the producer ensures 
that the calf receives colostrum, either from a bottle or nursing her 
dam. The heifer calf is then separated from the dam and placed in 
group, pair, or single housing. Some larger dairy producers contract 
with heifer development farms to raise replacement heifers. These 
heifer development farms pick up the heifer calves and raise them at 
another location until they are within a month or two of their first 
lactation. Heifer calves are raised on a diet of milk replacer or 
liquid milk with free choice roughages and grains. Once the calves have 
learned how to eat grains and roughages, the calves are weaned from the 
milk.
    After weaning, the heifers are developed to grow at a moderate pace 
until they are ready to be bred. During this time, the heifers may be 
raised on pasture, fed a complete ration or a mixture of both. Once the 
heifers are about 14 or 15 months of age, they are bred, gestate for 
about 9 months, and calve around 2 years of age. Usually once the 
heifers are bred or ``settled,'' they will be fed a diet which allows 
them to slowly grow in terms of frame size and body weight. As the 
heifer approaches her due date, she is termed a ``springer'' or is 
described as ``freshening.'' After she calves, she begins lactating, is 
moved to the milking herd and called a ``first calf heifer.''
    Organic producers follow similar timelines, but use some different 
practices. Organic producers must provide a feed ration comprised of 
certified organic agricultural feedstuffs. At this point in time, AMS 
is not aware of any certified organic milk replacer produced in the US. 
As a result, organically raised dairy calves must be fed organic milk. 
This makes the practice of sending young calves to heifer development 
farms less feasible for organic producers as these heifer development 
farms may not have access to certified organic milk. In addition, 
organic regulations require that all organically managed ruminants 
receive 30% of their dry matter intake from pasture during the grazing 
season, though dairy calves under 6 months of age are excluded from 
this provision. By the age of 6 months, dairy calves must be on pasture 
during the grazing season. Nonorganic calves do not have a pasture 
requirement.
    Organic producers must also follow certain health care practices. 
For example, organic producers may not use antibiotics to prevent 
disease. Instead, organic producers must prevent the animals from 
getting sick using other management practices such as vaccinations. 
However, if an animal does get sick, organic producers are required to 
use medication to restore the animal to health even if the animal loses 
organic status. Once the animal loses organic status, the animal could 
return to organic milk production only as part of a one-time transition 
with another producer.
    Organic producers also may not use hormonal methods to synchronize 
estrus. Nonorganic producers may use hormonal products to both initiate 
estrus and synchronize estrus among the heifers to aid in conception. 
Certain synchronization protocols allow for a timed breeding method 
that does not require observation of a standing heat to identify 
estrus.
    Dairy farms and heifer development farms which produce transitioned 
dairy animals are able to raise the heifer calves nonorganically until 
12 months before organic milk production begins. The pre-weaning phase 
of life is the time in which heifer calf mortality is the highest and 
the diet is the most expensive on a per calorie basis. Nonorganic 
practices to reduce mortality and expense during this pre-weaning phase 
include the use of milk replacer and, at times, antibiotics. By the 
time the dairy heifer reaches one year of age, most health threats are 
past and the animal is consuming a less expensive diet.
    AMS is not aware of any national survey that compares the culling 
rate of organic dairy animals with nonorganic dairy animals. In 2007, 
the USDA Animal and Plant Health Inspection Service (APHIS) conducted 
the National Animal Health Monitoring System (NAHMS) survey for dairy 
animals; a follow-up is planned for 2014.\46\ In this survey of dairy 
animals, the national rate of permanently removing a dairy animal from 
a farm was 23.6 percent. However, this included animals that were sold 
as replacement females to other dairies. This also excluded the 
percentage of animals which died. The percentage of cows culled did not 
vary depending upon the size of the producer nor did it vary depending 
upon the region of the U.S. in which the dairy was located. Most dairy 
cows were removed for udder problems or reproductive problems, followed 
by lameness or poor milking ability. Overall, mortality rates were 7.8% 
for un-weaned heifers, 1.8% for weaned heifers, and 5.7% for cows.
---------------------------------------------------------------------------

    \46\ USDA APHIS. NAHMS Dairy 2007 Part I: Reference of Dairy 
Cattle Health and Management Practices in the United States, 2007. 
This survey included both nonorganic and organic dairy animals. 
Available online at: http://www.aphis.usda.gov/wps/portal/banner/help?1dmy&urile=wcm%3apath%3a%2Faphis_content_library%2Fsa_our_focus%2Fsa_animal_health%2Fsa_monitoring_and_surveillance%2Fsa_nahms%2Fct_nahms_dairy_studies#dairy2014.
---------------------------------------------------------------------------

    From this information, an average dairy farm would sell 23.6% of 
its milking cattle and would lose 5.7% of its milking cattle to death. 
This would require that the average dairy farm in the U.S. be able to 
raise or purchase females that represent about 30% of the farm's herd 
size just to maintain current size. Based on this average national need 
for replacements, the overall U.S. dairy herd (both nonorganic and 
organic) would have excess replacement females available for 
development. At this rate, the organic milking herd should be able to 
be maintained by last third gestation replacement females. In addition, 
the organic milking herd should also provide a sufficient quantity of 
females if market conditions lead to an expansion of the number of 
organic dairy animals.
    Specific to organic production, the U.S. had approximately 1,850 
organic dairy farms that milked 200,000 cows in 2011.\47\ Of these 
farms, 1,823 farms were producing organic milk from dairy cows and 19 
farms were producing organic milk from goats. The number of certified 
organic sheep, buffalo, and bison dairy operations for that period is 
not known. This proposed action would apply to any animals (e.g., 
heifers/cows, goats, sheep) that produce milk for an organic operation. 
The baseline discussion and the following cost analysis focus on 
heifers and cows as the predominant portion of the industry affected by 
this proposed action and due to the limited data available on other 
types of dairy animals.
---------------------------------------------------------------------------

    \47\ USDA NASS. 2011. Census of Agriculture--Organic Production 
Survey. Available online at: http://usda.mannlib.cornell.edu/MannUsda/viewDocumentInfo.do?documentID=1859.
---------------------------------------------------------------------------

    Based on the NASS survey, Table 4 shows that the highest 
concentration of organic dairy farms is in the Northeast and Upper 
Midwest.

[[Page 23470]]



                       Table 4--Top States With Organic Dairy Farms Compared to Production
----------------------------------------------------------------------------------------------------------------
                                                                Percent of
                                                 Number of        U.S. of      Milk  production     Percent of
                                               organic dairy   organic dairy       (pounds)          U.S. milk
                                                   farms           farms                            production
----------------------------------------------------------------------------------------------------------------
United States...............................           1,823  ..............       2,797,845,926  ..............
Wisconsin...................................             397            21.7         313,991,661            11.2
Pennsylvania................................             236            12.9         148,704,869             5.3
New York....................................             235            12.9         218,597,110             7.8
Vermont.....................................             180             9.9         149,649,913             5.3
Texas.......................................               8             0.4         423,558,952            15.1
California..................................              72             3.9         469,148,296            16.8
----------------------------------------------------------------------------------------------------------------

    The four states with the largest number of certified organic dairy 
farms (Wisconsin, Pennsylvania, New York, and Vermont) account for 57 
percent of the total farms. However, those states represent less than 
30 percent of national organic milk production. By contrast, the West 
and Southwest account for the highest milk production per farm. The two 
highest-producing states (California and Texas) represented only 4.3 
percent of total certified organic dairy farms, while producing 31.9 
percent of the total organic milk nationally. According to 2010 ARMS 
data, the mean size of an organic dairy farm nationally was 77 cows. In 
the Northeast and the Upper Midwest, the mean number of organic cows 
per farm was 64. In the West, the mean number of organic cows per farm 
was 288. Both ARMS and NASS surveys demonstrate similar distributions 
of both farms and milk production. The 2010 ARMS data also shows that 
organic dairies averaged about 13,900 pounds of milk annually per cow, 
or a daily average of 46 pounds of milk per cow (assuming a 300-day 
lactation period).
    According to 2010 ARMS data, nearly 99 percent of the dairies 
responding to the organic dairy survey reported using replacement 
heifers that were born on the farm, with 96.5 percent reporting that 
the heifers were both born and raised on their operation. For the only 
3.5 percent of dairies that did not raise their replacement heifers on 
their operation, they presumably hired heifer development farms to 
raise the heifers prior to rejoining the herd. Of the farms reporting 
using replacement heifers born on the farm, the average number of 
replacement heifers sourced by this method was 31 head per farm. These 
heifers, born in 2010, would have been added to the milking herd in 
2012.
    Some dairy operations also bought replacement heifers. It is 
unknown whether these replacement heifers were certified organic when 
purchased or were nonorganic animals then transitioned into organic 
production. We would expect a mixture of certified organic heifers and 
transitioning heifers entering organic production that is dependent on 
the producer's current transition approach. Of the farms responding to 
the ARMS, 7.3 percent reported purchasing dairy cows and 5.3 percent 
reported buying replacement heifers. Farms that purchased milk cows 
purchased an average of 8 cows per farm and those that purchased 
heifers bought an average of 15 head.
    Overall, in 2010, organic dairy farms added 58,500 cows and heifers 
to their operations, with 95.7 percent of those born on the operation. 
The remainder of animals came from off farm sources and included milk 
cows, 1,100 head (1.8 percent), and heifers, 1,425 head (2.5 percent).
    Most organic dairies (91 percent) reported selling cull cows. Some 
dairy farms also reported selling milk cows and replacement heifers. Of 
the farms responding to the ARMS, 17.0 percent reported selling milk 
cows and 17.0 percent reported selling replacement heifers. Farms that 
sold milk cows sold an average of 14 cows per farm and those that sold 
replacement heifers sold an average of 11 head. Overall, dairies sold 
4,400 milk cows and 3,500 replacement heifers. Farms could have sold 
these animals into the nonorganic or organic market.
    Information on how many of replacement heifers bought were 
transitioned heifers and how many were managed organically from the 
last third of gestation is not available, and, therefore, AMS is not 
able to quantify the baseline. Certifying agents do not maintain 
aggregated data on what transition approach producers are currently 
implementing. Therefore, we do not have data on how many producers are 
bringing heifers into organic production as nonorganic animals and 
transitioning them into organic versus sourcing and managing animals as 
organic from the last third of gestation. However, the two largest 
producers of branded organic fluid milk both require their supplying 
dairies to supply milk from organic cows, as opposed to transitioning 
new nonorganic animals into organic production. Based on discussions 
with the industry, AMS assumes that, qualitatively, the vast majority 
of replacement heifers purchased is managed organically from the last 
third of gestation and, therefore, would not need to change practices 
due to this proposed action. We seek comment on this assumption and 
data on current industry practice to help refine our estimates.
    As discussed in the BACKGROUND section, under the current baseline, 
we know that producers differ in their transition strategies dependent 
on how the term ``herd'' in the regulations is interpreted and applied. 
The difference in transition approach across producers is, as 
previously discussed, due to both a lack of definition for what a 
``herd'' is and different interpretations of when the transition of a 
herd into organic production should be considered completed. Within the 
existing industry, there are some organic producers who transitioned a 
single ``herd'' of animals into organic production, consider their 
transition complete, and only source animals that are managed 
organically from the last third of gestation. There are other organic 
producers who transitioned their operation to organic, but continue to 
expand their operation by bringing nonorganic animals into organic 
production as additional ``herds''. In some cases, these operations 
have multiple fields on a given location or multiple locations under 
their business and, therefore, consider the herd in a given field or 
location as distinct for the purpose of their transition approach. For 
producers using this kind of multi-herd approach for their operation, 
the proposed action would require them to source organic animals or 
previously transitioned animals across all of their herds, regardless 
of location or multi-herd management strategy. This will, in turn, 
increase their costs as discussed in the cost analysis that follows.

[[Page 23471]]

Alternatives Considered
    As required by E.O. 12866, various alternatives were considered to 
achieve the objectives of this rule. The alternatives considered 
include: (Option A) revising the standard to allow producers to 
transition dairy animals into organic production over a 12-month period 
on a continuous basis; and (Option B) revising the standard to clearly 
convey that a producer with a dairy farm has a one-time exception over 
a 12-month period to transition dairy animals into organic production. 
These options are shown in Table 5 below.

                    Table 5--Alternatives Considered
------------------------------------------------------------------------
             Alternative                          Description
------------------------------------------------------------------------
Option A--Continuous Transition......  Revise standard to allow a
                                        producer to transition dairy
                                        animals into organic production
                                        over a 12-month period on a
                                        continuous basis.
Option B--Use ``Dairy Farm'' as Unit   Revise standard to tie the one-
 of Regulation.                         time transition exception to a
                                        given dairy farm (premises) over
                                        a 12-month period.
Option C--Proposed Rule..............  Revise standard to tie the one-
                                        time transition exception to a
                                        given producer with a dairy farm
                                        over a 12-month period.
------------------------------------------------------------------------

    As discussed, maintaining the status quo (i.e., the baseline unit 
of regulation as a ``herd'') does not further our objective to provide 
additional guidance to the organic dairy industry and, therefore, was 
not considered as a viable alternative. Since 2006, vast stakeholder 
comments have requested that AMS engage in rulemaking to support 
greater consistency in the application of the origin of livestock 
requirements across certifying agents and operations. In addition to 
stakeholder comments, the OIG identified this issue in its July 2013 
audit of organic milk operations and recommended that AMS undertaking 
rulemaking.
Option A
    The first alternative considered (Option A) would amend the 
regulations to specify that a producer could transition dairy animals 
into organic production over a 12-month period on a continuous basis. 
Under OFPA, a dairy animal from which milk or milk products will be 
sold or labeled as organically produced must be raised in accordance 
with OFPA for not less than the 12-month period immediately prior to 
the sale of such milk and milk products (7 U.S.C. 6509(e)(2)(A)). AMS 
could allow transition of any dairy animal into organic production, 
without further limitation, as long as it is organically managed for a 
12-month period prior to the sale of organic milk or milk products. In 
effect, this would mean that a producer could continuously transition 
conventional dairy animals into organic production on an ongoing basis, 
as opposed to allowing a producer to transition animals into organic 
production once.
    While this alternative could achieve the regulatory objective by 
setting a consistent and uniform standard across the organic dairy 
industry, numerous NOSB recommendations and stakeholder comments have 
not suggested this approach. Further, in assessing the baseline, this 
approach would increase the number of nonorganic animals transitioned 
into organic production. If the demand shifts to nonorganic animals for 
transition into organic production, this would reduce the current 
demand, and, thus, value of organic heifers. Further, because consumers 
expect milk to be produced without the use of certain inputs that can 
be used in nonorganic animals (e.g., antibiotics), this approach could 
have unknown, but likely negative, impacts on consumer confidence in 
the growing organic dairy sector.
Option B
    The second alternative considered (Option B) would amend the 
regulations to specify that a dairy farm, as defined by the regulation, 
could transition dairy animals into organic production one-time over a 
12-month period. This would mean that a transition could occur only 
once on a given premises. Under this alternative, a producer could 
transition dairy animals on multiple dairy farms over time as long as 
animals had not been previously transitioned on a given premises. For 
example, if dairy farm location X, Y, and Z had never had animals 
transitioned to organic on their respective premises, then producer A 
could conduct transition on each location (X, Y, and Z) once. If 
producer B then purchased these dairy farms from producer A, producer B 
could not complete a transition on these premises because the location 
had already experienced a one-time transition to organic.
    We did not choose this alternative because it would only meet the 
intent of this regulatory action in a limited way. While it would 
reduce the number of transitions over time, it would allow a given 
producer, with a single organic certificate, to transition dairy 
animals on multiple dairy farms. As discussed in the BACKGROUND 
section, this proposal was drafted to create greater consistency in the 
implementation of the transition mechanism so that it is not used as a 
continual means of producing organic milk without purchasing organic 
stock once a producer has converted to organic production. Furthermore, 
AMS could not identify how a producer and a certifying agent could 
verify that a transition had not already occurred on a given dairy 
farm. This would be especially difficult as time went on and a dairy 
farm may have changed ownership multiple times.
Option C
    The third alternative considered, and selected for this proposed 
action, would provide a limited exception (i.e., a one-time opportunity 
for producers) to transition dairy animals into organic production that 
aligns with both OFPA and the NOSB recommendations. While the NOSB 
recommendations do not provide the level of specificity needed to 
implement this approach, the intent of the NOSB is to require that, 
once an operation is certified organic, any new animals added to that 
operation should be organically managed since last third of gestation. 
This proposed rule would address the NOSB recommendation, adding 
specificity to ensure successful implementation of a uniform and 
consistent standard. AMS considered many options for how to best 
operationalize a one-time exception to transition dairy animals into 
organic production. These options include linking the one-time 
exception to a dairy farm, an operation, persons responsibly connected, 
and the current unit of regulation, a herd. For the reasons previously 
discussed in the OVERVIEW OF PROPOSED AMENDMENTS section, AMS is 
proposing to link the transition exception to a producer.

[[Page 23472]]

    Based on NOSB recommendations and almost 13,000 stakeholder 
comments, this approach would retain the opportunity for new producers 
to transition into organic dairy production and ensure that organic 
products meet a consistent standard to support consumer confidence. 
This approach would require a small number of dairy farms to change 
their current practices for sourcing dairy animals and, as a result, 
would impose some limited costs. This approach is also the more 
pragmatic to implement through the certification and verification 
process as compared to linking the one-time transition to a dairy farm 
(Option B). By linking the transition to a given producer (Option C), a 
producer (e.g., an individual or a corporation) can attest to a 
certifying agent as part of their application for certification that 
they have not already completed a dairy transition and certifying 
agents could verify such attestations by checking past certification 
records associated with that producer.
    The costs and benefits of this approach are discussed in more 
detail below.
Costs of Proposed Rule
    The proposed rule has the potential to increase production costs on 
dairy producers who currently purchase transitioned dairy animals as 
replacements, assuming that transitioned animals are currently being 
sold at a discount to organic replacement animals. Organic dairy 
farmers who regularly purchase transitioned dairy animals as 
replacements and organic operations in the process of expansion are 
likely to face higher costs of production if this rule were finalized 
as proposed. The cost of implementing the proposed rule will fall 
primarily on organic dairies that currently purchase transitioned 
heifers, although dairies currently purchasing organic heifers would be 
expected to pay higher prices in the short-term due to increased 
competition for these animals. Farms that sell their excess organic 
replacement heifers may see an increase in demand for their heifers 
while farms that exclusively raise their own organic replacement 
heifers would not be affected by the proposed rule.
    Overall, this cost analysis uses existing data on the number of 
replacement animals purchased on organic operations to estimate costs. 
Using data by organic operation differs from the proposed unit of 
regulation, which is by producer (i.e., a business entity). We do not 
have data explicitly available by producer. However, we believe that 
this analysis using data by organic operation would be similar to any 
analysis by producer because, in many cases, the operation and producer 
are functionally one in the same. Further, while we do not have data on 
multi-herd producers, this analysis assumes that costs will be 
equivalent on a per cow basis. We are seeking comment on these 
assumptions and any data relevant to sheep and goat dairy production.
Estimated Costs for Dairies
    The ARMS included the total amount spent on replacement heifers, 
but the survey did not distinguish between organic and transitioned 
heifers. For purposes of this analysis, we will assume that 25% to 50 
percent of all purchased heifers are transitioned heifers, or between 
360 and 720 head. This is a broad estimate though we believe that the 
proportion is likely smaller than 50% based on discussions with organic 
dairy producers. The survey results indicated that the average 
replacement heifer cost approximately $898. The University of Minnesota 
Farm Financial Database (FINBIN) includes the average replacement cost 
for organic heifers; between 2006 and 2012 the cost per head ranged 
between $1,200 and $1,900. Extension officials at the University of 
Vermont estimated that organic replacement heifers typically cost 
between $1,600 and $2,000.\48\ Data on the cost of transitioned heifers 
is not available. Using the upper end of these ranges ($2,000), the 
cost of purchasing organic replacement heifers of all weights would be 
$7.6 million per year. This is the total cost, not the additional cost 
of purchasing organic heifers instead of transitioned heifers, so the 
incremental costs will be considerably less. These costs only reflect 
dairy cattle. Costs for purchasing dairy sheep and goats are not 
included in this analysis.
---------------------------------------------------------------------------

    \48\ Conversation with Dr. Bob Parsons, Extension Associate 
Professor at University of Vermont, June 4, 2013.
---------------------------------------------------------------------------

    AMS previously contacted several state extension dairy experts who 
explained that supplies of organic replacement heifers and milk cows 
were in excess supply creating a soft demand.\49\ In addition, the ARMS 
shows that organic dairy farms retained 56,000 replacement heifers 
while selling 32,000 head as cull cattle, milk cows, or replacement 
heifers, indicating that there are ample supplies of replacement 
heifers available. Therefore, the additional demand for organic 
replacement heifers is not expected to lead to an increase in the price 
of replacement heifers. However, to be conservative in estimating the 
additional costs of the proposed rule, the analysis will assume that 
the increased demand will increase the cost of an organic replacement 
heifer by 25 percent, or $500.
---------------------------------------------------------------------------

    \49\ Conversations with Dr. Bob Parsons, Extension Associate 
Professor at University of Vermont, June 4, 2013; Bradley J. Heins, 
Assistant Professor of Organic Dairy Production at University of 
Minnesota, June 5, 2013; and A. Fay Benson, Small Dairy Support, 
Cornell University SCNY Regional Team, June 6, 2013.
---------------------------------------------------------------------------

    Because the price of transitioned heifers is not available, the 
analysis will use the cost of conventional springers \50\ as a 
substitute. Since the cost of a transitioned heifer is likely to be 
more than the cost of a conventional heifer, using the conventional 
springer price will generally overstate the cost of compliance with the 
proposed rule and so provide an upper bound of costs incurred.
---------------------------------------------------------------------------

    \50\ A springer is a heifer that is 7-9 months pregnant and will 
begin producing milk within 2 months.
---------------------------------------------------------------------------

    AMS Livestock, Poultry, and Grain Market News reports on five dairy 
auction markets \51\ in the U.S. Using the reports from the period May 
6, 2013 to June 5, 2013, the average auction price for Approved \52\ 
springers was $1,200 per head. The difference in cost between organic 
heifers and conventional heifers is $800 per head. As discussed, we 
assume that the cost of transitioned heifer is, at a minimum, 
equivalent to a conventional heifer. With the assumed $500 increase in 
cost of organic heifers, the total difference will be $1,300. The 
difference in cost between a transitioned heifer and an organic heifer 
is summarized in Table 6.
---------------------------------------------------------------------------

    \51\ The markets are the Mammoth Cave Dairy Auction, Smiths 
Grove, KY; Springfield Livestock Marketing Center, Springfield, MO; 
Producers Auction Yards, Norwood, MO; New Holland Sales Stables, New 
Holland, PA; and Toppenish Monthly Dairy Replacement Sale, 
Toppenish, WA.
    \52\ Dairy cattle are classified into four categories: Supreme, 
Approved, Medium, and Common. The most common category of springers 
sold is Approved.

[[Page 23473]]



                 Table 6--Difference in Cost Between a Transitioned Heifer and an Organic Heifer
----------------------------------------------------------------------------------------------------------------
                                                                    Low end of      High end of
                                                                       range           range        Value used
----------------------------------------------------------------------------------------------------------------
Cost of organic replacement heifer..............................          $1,200          $2,000          $2,000
Increased premium for organic heifer due to increased demand      ..............  ..............             500
 (assumed)......................................................
    Total cost of organic replacement heifer....................  ..............  ..............           2,500
                                                                 -----------------------------------------------
Cost of conventional heifer (used as lower bound for cost of               1,000           1,435           1,200
 transitioned heifer)...........................................
                                                                 -----------------------------------------------
    Cost difference per heifer..................................  ..............  ..............           1,300
----------------------------------------------------------------------------------------------------------------

    According to the NASS 2011 Certified Organic Production Survey, the 
U.S. had approximately 1,850 organic dairy farms that milked 200,000 
cows. Based on the NASS survey results for the total number of organic 
dairy operations and ARMS data on the number of replacement heifers 
purchased, we estimate the total increase in cost of purchasing organic 
heifers instead of transitioned heifers at a maximum of $935,000 per 
year with the assumption that 50% of replacement animals purchased are 
transitioned dairy animals and $468,000 per year with the assumption 
that 25% of replacement animals purchased are transitioned dairy 
animals. If the cost of organic replacement heifers does not increase 
due to current market conditions, the estimate of the total increase in 
cost is significantly less at $576,000 for the 50% assumption and 
$288,000 for the 25% assumption. The additional cost of purchasing 
organic heifers for replacement purposes is summarized in Table 7.

                          Table 7--Additional Cost Incurred To Purchase Organic Heifers
----------------------------------------------------------------------------------------------------------------
                                                                    Total additional cost for dairy producers
                                        Price difference used  -------------------------------------------------
                                                                     25% Assumption           50% Assumption
----------------------------------------------------------------------------------------------------------------
Low Estimate.........................  Uses $800 difference     $288,000...............  $576,000.
                                        between conventional
                                        and organic heifers.
High Estimate........................  Uses $1,300 difference   $468,000 ($180,000 of    $935,000 ($359,000 of
                                        ($800 above plus $500    which is an intra-       which is an intra-
                                        in assumed organic       industry transfer).      industry transfer.
                                        premium).
----------------------------------------------------------------------------------------------------------------

    The cost difference between the low and high estimate ($359,000 or 
$180,000) should not be considered a net cost, but rather an intra-
industry transfer. While some producers who need to purchase organic 
heifers will have additional costs if there is a $500 premium for these 
animals, this premium will stay within the organic dairy sector as a 
benefit to those producers supplying organic heifers. Any intra-
industry transfer is expected to benefit small operations as such 
operations tend to have more flexibility in capacity (e.g., available 
pasture) to accommodate raising organic replacement heifers for the 
organic market. This flexibility is less apparent for large operations. 
Furthermore, the actual costs of this action may be considerably less 
than the low estimate. This analysis is based on a conservative 
assumption that 50 percent of all purchased heifers are transitioned 
heifers. Based on discussions with organic dairy producers, we believe 
that this proportion is likely smaller which would decrease the low 
cost estimate.\53\ The costs of the proposed action will vary by size 
of operation because the proportion of dairies that source at least 
some of their replacement heifers from their own calves also varies by 
size of operation. Of the largest operations in the ARMS data, those 
with 200 or more cows, 96 percent reported that at least some of their 
replacement heifers were born on their operations. All operations with 
between 100 and 199 cows reported that at least some of their 
replacement heifers were born on their operations, and 99 percent of 
operations with fewer than 50 cows and those with between 50 and 99 
cows reported that at least some of their replacement heifers were born 
on their operations.
---------------------------------------------------------------------------

    \53\ Between April 2012 and December 2013, AMS staff contacted 8 
organic dairy producers of various sizes to determine the extent to 
which heifers are raised or purchased on their farms.
---------------------------------------------------------------------------

    Purchases of milk cows and replacement heifers also vary by size. 
Ten percent of operations with fewer than 50 cows reported purchasing 
milk cows, and the average number purchased was 6 head. Five percent of 
operations with between 50 and 99 cows reported purchasing milk cows, 
and the average number purchased was 14 head. Three percent of 
operations with between 100 and 199 cows reported purchasing milk cows, 
and the average number purchased was 10 head. No operations with 200 or 
more cows reported purchasing milk cows.
    The pattern is different for purchasing heifers. Four percent of 
operations with fewer than 50 cows reported purchasing heifers, and the 
average number purchased was 10 head. Seven percent of operations with 
between 50 and 99 cows reported purchasing heifers, and the average 
number purchased was 10 head. Three percent of operations with between 
100 and 199 cows reported purchasing heifers, and the average number 
purchased was 5 head. Eight percent of operations with 200 or more cows 
reported purchasing heifers, and the average number purchased was 76 
head. Based on a cost difference of $1,300 per head between 
transitioned replacement heifers and organic replacement heifers, and 
assuming that half of replacement heifers currently purchased are 
transitioned, dairies with fewer than 50 cows would pay an additional 
$270,000, dairies with between 50 and 99 cows would pay an additional 
$280,000, dairies with between 100 and 199 cows would pay an additional 
$30,000 and dairies with 200 or more cows would pay an additional 
$355,000. The costs by size of operation are summarized in Table 8.

[[Page 23474]]



                                           Table 8--Costs by Size of Operation for Purchasing Organic Heifers
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                        Fewer than 50 cows                50-99 cows                   100-199 cows                200 or more cows
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                    Size of Operation
--------------------------------------------------------------------------------------------------------------------------------------------------------
Percent of operations that         4%..........................  7%..........................  3%..........................  8%.
 purchased replacement heifers.
Average number of replacement      10 head.....................  10 head.....................  5 head......................  76 head.
 heifers purchased.
Total cost for purchase of         $270,000....................  $280,000....................  $30,000.....................  $355,000.
 replacement heifers across size
 class.
Cost per operation (25% to 50%     $3,250-$6,500...............  $3,250-$6,500...............  $1,600-$3,250...............  $29,700-$49,400.
 transitioned heifers).
--------------------------------------------------------------------------------------------------------------------------------------------------------

Effects on Heifer Development Operations
    Heifer development operations raise heifers either from wet calves 
or weaned calves and generally sell them as springers at about 24 
months of age. To raise organic or transitioned heifers, these 
operations must have organic pasture available for the heifers to 
graze. Operations that raise transitioned heifers may have to increase 
their ownership or leasing of organic pasture to continue to operate at 
their current capacity since organic heifer calves will need access to 
organic pasture for a longer period than transitioned heifers will need 
access to pasture.
    Since the locations, numbers, and sizes of heifer development 
operations are not known, it is not possible to estimate the increased 
costs this will entail. However, it is possible that, to the extent 
that organic heifers sell at a premium to transitioned heifers, the 
increased costs may be at least partially offset by increases in 
revenues from selling organic replacement heifers. We are seeking data 
related to the likely impacts on heifer development operations and 
those for sheep and goats.
Effects on Consumers
    Nearly 99 percent of all dairies report that they source at least 
some of their replacement cows from their own calves, and only 4.3 
percent of all dairies purchase replacement heifers. The 95.7 percent 
of producers that do not purchase replacement heifers would not see an 
increase in costs. To replace purchased transitioned heifers, dairies 
would have to either raise their own replacements or buy them from an 
operation that sells organic replacement heifers. Since the current 
market for replacement heifers is soft and there are ample supplies, as 
detailed above, it is unlikely that the proposed rule would 
significantly increase producer, and therefore, milk costs to the 
consumer.
Benefits of the Proposed Rule
    This proposed rule would bring specificity and clarity to the 
regulations relating to the origin of dairy livestock and the 
management of breeder stock. Greater clarity and specificity will 
create uniform application of the practice standards applied in organic 
production and in turn will help maintain consumer confidence in 
purchasing organic products.
    The Organic Trade Association's (OTA) 2013 U.S. Families' Organic 
Attitudes and Beliefs tracking study identified that 13 percent of 
organic buyers surveyed who saw or heard a negative news story about 
organic chose to buy less organic foods. Further, nearly half of non-
buyers of organic products surveyed displayed a decrease in their 
average level of trust in organic products' authenticity from 5.3 on a 
10-point scale in 2012 to 4.4 in 2013.\54\
---------------------------------------------------------------------------

    \54\ Organic Trade Association. 2013. U.S. Families' Organic 
Attitudes and Beliefs: 2013 Tracking Study. www.ota.com.
---------------------------------------------------------------------------

Conclusions
    A clear and consistent standard for transition of dairy animals 
into organic production is needed and anticipated by dairy producers, 
consumers, trade associations, certifying agents, and the OIG. This 
proposed rule would provide a foundation for compliance and enforcement 
in support of fair competition among dairy producers through a single, 
well-defined standard. AMS is pursing the regulatory option that 
retains the opportunity for new producers to transition into organic 
dairy production once. In the event of emergencies, producers, through 
their certifiers could apply for a temporary variance provided for in 
section 205.290(a).
    AMS is seeking comments on the actual economic impacts, both costs 
and benefits, of this action on the industry. We are specifically 
interested in validating the accuracy of the number of farms impacted, 
validating the accuracy of the estimated number of replacement animals, 
and understanding the number and size of heifer development 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.
    In addition, and in support of our validation efforts, we also are 
requesting comments on or submissions of applicable farm or industry 
data, data sources, reports, research and other relevant information 
that would help us better understand the full range of impacts of the 
rule on farm income and profitability.

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

[[Page 23475]]

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. 
451-471), 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. As explained below, AMS expects that the entities 
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.
    AMS has considered the economic impact of this proposed action on 
small entities. Small entities include producers transitioning into 
organic dairy production, existing organic dairy producers, and 
producers that raise replacement animals for organic dairies. AMS 
believes that the cost of implementing the proposed rule will fall 
primarily on organic dairies that currently purchase transitioned 
heifers, although dairies currently purchasing organic heifers would be 
expected to pay higher prices in the short-term due to increased 
competition for these animals. Farms that sell their excess organic 
replacement heifers may see an increase in demand for their heifers 
while farms that raise their own organic replacement heifers would not 
be affected by the proposed rule. AMS believes there may be a limited 
number of heifer development operations who could be impacted by this 
action. However, since the locations, numbers, and sizes of heifer 
development operations are not known, it is not possible to estimate 
the number of such entities and any increased costs for those entities.
    This proposed rule would also affect certifying agents that certify 
organic dairy operations. The Small Business Administration (SBA) 
defines small agricultural service firms, which includes certifying 
agents, as those having annual receipts of less than $7,000,000 (North 
American Industry Classification System Subsector 115--Support 
Activities for Agriculture and Forestry). There are currently 84 USDA-
accredited certifying agents; based on a query of the NOP certified 
organic operations database, there are approximately 53 certifying 
agents who are currently involved in the certification of organic 
dairies. AMS believes that these certifying agents would meet the 
criterion for a small business. While certifying agents are small 
entities that will be affected by this proposed rule, we do not expect 
these certifying agents to incur significant costs as a result of this 
action. Certifying agents already must comply with the current 
regulations, e.g., maintaining certification records for organic dairy 
operations. Their primary new responsibility under this proposal will 
be to determine, through the existing application process for organic 
certification, a producer's eligibility for a one-time transition into 
organic production.
    For the RFA analysis, AMS focused on estimating how different size 
organic dairy operations (small versus large) would be impacted as a 
result of purchasing all organic dairy replacement animals. As 
discussed above, we do not have data on heifer development operations 
that raise dairy replacement heifers and are unable to estimate the 
impacts on these entities. As defined by the SBA (13 CFR 121.201), 
small agricultural producers are defined as those having annual 
receipts of less than $750,000. AMS used this SBA criterion to identify 
large organic dairy operations, those with cash receipts of more than 
$750,000, and small operations, those with cash receipts of $750,000 or 
less. The ARMS dataset estimates that 95 percent had cash receipts 
below $750,000 and 5 percent had cash receipts above $750,000. Using 
the NASS estimate for the total number of organic dairy operations, AMS 
estimates that, in 2011, there were 91 large operations and 1,756 
operations that would be considered small under the SBA criterion.
    AMS notes that there is little variation in the proportion of 
organic dairies that source at least some of their replacement heifers 
from their own calves. Of the large operations, 96 percent reported 
that at least some of their replacement heifers were born on their 
operations. About 99 percent of small operations reported sourcing at 
least some of their replacement heifers from calves born on their 
operations.
    While the frequency of purchases of replacement heifers varied 
little by size, our analysis shows that the mean number of replacement 
heifers purchased was significantly different across size categories. 
Small operations were slightly less likely to buy replacement heifers 
(5.3 percent versus 5.5 percent). Of the small operations that 
purchased replacement heifers, the average number purchased was 10 
head, compared with an average purchase of 107 head for large 
operations. For this cost analysis, we assumed a cost difference of 
$1,300 per head between transitioned replacement heifers and organic 
replacement heifers and assumed that half of replacement heifers 
currently purchased are transitioned.\55\ Based on our analysis, AMS 
estimates that, under the proposed rule, small operations would 
collectively spend an additional $588,000 for heifers. Large operations 
would collectively pay an additional $347,000 for heifers. Of the 
operations that purchased heifers, the average additional cost per 
operation would be $6,300 for small operations

[[Page 23476]]

and $70,000 for large operations. AMS notes that this analysis assumed 
that there is no difference in the cost per head paid by large and 
small operations for purchases of replacement heifers. Table 9 
summarizes the cost analysis using the SBA criterion for small 
businesses (i.e., producers with less than $750,000 in cash receipts).
---------------------------------------------------------------------------

    \55\ The determination of a cost difference of $1,300 per head 
and the assumption about the proportion of replacement heifers that 
are transitioned is discussed in the RIA. See section on EO 12866 
and 13563.

 Table 9--Cost of Organic Replacement Heifers by SBA Criterion for Small
                               Businesses
------------------------------------------------------------------------
                                     Small operations   Large operations
                                       (<$750,000)        (>=$750,000)
------------------------------------------------------------------------
Total cost (all operations).......           $588,000           $347,000
Per operation purchasing                  3,150-6,300      35,000-70,000
 replacement heifers (25% to 50%
 transitioned replacements).......
------------------------------------------------------------------------

    To understand the potential costs in context, we used the higher 
average cost estimate per operation from Table 9 for the purchase of 
organic replacement heifers (i.e., $6,300 for small; $70,000 for large) 
and compared it to the average gross cash farm income for each size 
category. In 2011, the average gross farm cash income for small 
operations was $211,375, and $2,348,345 for large operations. For both 
small and large operations, the average additional costs imposed by the 
requirement to purchase organic replacement heifers accounts for 
approximately 2.9 percent of an operation's average gross cash farm 
income. AMS believes that any costs incurred by producers in complying 
with this proposed action would be offset by a stronger marketplace for 
organic dairy products. If implemented, this action would, as discussed 
in the benefits portion of the RIA, ensure that consumer expectations 
are met and support the growing market for these organic products. AMS 
believes that, over the long run, the economic impact on producers of 
not implementing this proposed rule would be greater than the economic 
impact of this proposed rule due to the need for greater consistency in 
applying the origin of livestock standard across the organic dairy 
sector.
    In addition, AMS has not identified any relevant Federal rules that 
are currently in effect that duplicate, overlap, or conflict with this 
proposed rule. This action provides additional clarity on the origin of 
livestock requirements 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 may have tribal implications that require 
tribal consultation under EO 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

    No additional collection or recordkeeping requirements are imposed 
on the public by this proposed rule. Accordingly, OMB clearance is not 
required by the Paperwork Reduction Act of 1995, 44 U.S.C. 3501, 
Chapter 35.

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 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, section 
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.'' Paragraph 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 section 205.506 requires the review of information submitted by 
the certifying agent and an on-site review of the certifying agent's 
operation. Further, if certification is denied, section 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 section 
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 in alphabetical order definitions 
for

[[Page 23477]]

``dairy farm,'' ``organic management,'' third-year transitional crop,'' 
``transitional crop,'' and ``transitioned animal'' to read as follows:


Sec.  205.2  Terms defined.

* * * * *
    Dairy farm. A premises with a milking parlor where at least one 
lactating animal is milked.
* * * * *
    Organic management. Management of a production or handling 
operation in compliance with all applicable production and handling 
provisions under this part.
* * * * *
    Third-year transitional crop. Crops and forage from land, included 
in the organic system plan of a producer's operation, that has had no 
application of prohibited substances within 2 years prior to harvest of 
the crop or forage.
* * * * *
    Transitional crop. Any agricultural crop or forage from land, 
included in the organic system plan of a producer's operation, that has 
had no application of prohibited substances within one year prior to 
harvest of the crop or forage.
    Transitioned animal. A dairy animal that was converted to organic 
milk production in accordance with Sec.  205.236(a)(2); offspring borne 
to a transitioned animal that, during its last third of gestation, 
consumes third year transitional crops; or offspring borne during the 
one-time transition exception that themselves consume third year 
transitional crops. Such animals must not be sold, labeled, or 
represented as organic slaughter stock or for the purpose of organic 
fiber.
* * * * *
0
3. Section 205.236 is revised to read as follows:


Sec.  205.236  Origin of livestock.

    (a) Livestock products that are to be sold, labeled, or represented 
as organic must be from livestock under continuous organic management 
from the last third of gestation or hatching: Except, That:
    (1) Poultry. Poultry or edible poultry products must be from 
poultry that has been under continuous organic management beginning no 
later than the second day of life;
    (2) Dairy animals. A producer as defined in Sec.  205.2 may 
transition dairy animals into organic production only once. A producer 
is eligible for this transition only if the producer starts a new 
organic dairy farm or converts an existing nonorganic dairy farm to 
organic production. A producer must not transition any new animals into 
organic production after completion of this one-time transition. This 
transition must occur over a continuous 12-month period prior to 
production of milk or milk products that are to be sold, labeled, or 
represented as organic, and meet the following conditions:
    (i) During the 12-month period, dairy animals must be under 
continuous organic management;
    (ii) During the 12-month period, the producer should describe the 
transition as part of its organic system plan and submit this as part 
of an application for certification to a certifying agent, as required 
in Sec.  205.401;
    (iii) During the 12-month period, dairy animals and their offspring 
may consume third-year transitional crops;
    (iv) Offspring born during or after the 12-month period are 
transitioned animals if they consume third-year transitional crops 
during the transition or if the mother consumes third year transitional 
crops during the offspring's last third of gestation;
    (v) Offspring born from transitioning dairy animals are organic if 
they are under continuous organic management and if only certified 
organic crops and forages are used from their last third of gestation;
    (vi) All dairy animals must end the transition at the same time;
    (vii) Dairy animals that complete the transition are transitioned 
animals and must not be used for organic livestock products other than 
organic milk;
    (viii) After the 12-month period ends, transitioned animals may 
produce organic milk on any organic dairy farm as long as the animal is 
under continuous organic management at all times on a certified organic 
operation; and
    (ix) After the 12-month period ends, any new dairy animal brought 
onto a producer's dairy farm(s) for organic milk production must be an 
animal under continuous organic management from the last third of 
gestation or a transitioned animal sourced from another certified 
organic dairy farm.
    (3) Breeder stock. Livestock used as breeder stock may be brought 
from a nonorganic operation onto an organic operation at any time, 
Provided, That the following conditions are met:
    (i) Such breeder stock must be brought onto the operation no later 
than the last third of gestation if its offspring are to be raised as 
organic livestock; and
    (ii) Such breeder stock must be managed organically throughout the 
last third of gestation and the lactation period during which time they 
may nurse their own offspring.
    (b) The following are prohibited:
    (1) Livestock, edible livestock products, or nonedible livestock 
products such as animal fiber that are removed from an organic 
operation and subsequently managed on a nonorganic operation may not be 
sold, labeled, or represented as organically produced.
    (2) Breeder stock, dairy stock, or transitioned animals that have 
not been under continuous organic management since the last third of 
gestation may not be sold, labeled, or represented as organic slaughter 
stock.
    (c) The producer of an organic livestock operation must maintain 
records sufficient to preserve the identity of all organically managed 
animals, including whether they are transitioned animals, and edible 
and nonedible animal products produced on the operation.
0
4. Section 205.237 is amended by revising paragraph (a) to read as 
follows:


Sec.  205.237  Livestock feed.

    (a) The producer of an organic livestock operation must provide 
livestock with a total feed ration composed of agricultural products, 
including pasture and forage, that are organically produced and handled 
by operations certified to the NOP, except as provided in Sec.  
205.236(a)(2)(iii), except, that, synthetic substances allowed under 
Sec.  205.603 and nonsynthetic substances not prohibited under Sec.  
205.604 may be used as feed additives and feed supplements, Provided, 
That, all agricultural ingredients included in the ingredients list, 
for such additives and supplements, shall have been produced and 
handled organically.
* * * * *
0
5. Section 205.239 is amended by revising paragraph (a)(3) to read as 
follows:


Sec.  205.239  Livestock living conditions.

    (a) * * *
    (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 Sec.  205.236(a)(2)(iii), and, if applicable, organically handled by 
operations certified to the NOP.
* * * * *

    Dated: April 23, 2015.
Rex A. Barnes,
Associate Administrator, Agricultural Marketing Service.
[FR Doc. 2015-09851 Filed 4-27-15; 8:45 am]
BILLING CODE P



                                                                                                                                                                                                       23455

                                                      Proposed Rules                                                                                                 Federal Register
                                                                                                                                                                     Vol. 80, No. 81

                                                                                                                                                                     Tuesday, April 28, 2015



                                                      This section of the FEDERAL REGISTER                    Regulatory Information Number (RIN)                    B. Summary of Provisions
                                                      contains notices to the public of the proposed          0581–AD08 for this rulemaking.                            This proposed rule would update the
                                                      issuance of rules and regulations. The                  Commenters should identify the topic
                                                      purpose of these notices is to give interested                                                                 regulation by explicitly requiring that
                                                                                                              and section of the proposed rule to                    milk or milk products labeled, sold or
                                                      persons an opportunity to participate in the            which their comment refers. All
                                                      rule making prior to the adoption of the final                                                                 represented as organic be from dairy
                                                      rules.
                                                                                                              commenters should refer to the                         animals organically managed since at
                                                                                                              GENERAL INFORMATION section for                        least the last third of gestation, with a
                                                                                                              more information on preparing your                     one-time exception for transition. This
                                                      DEPARTMENT OF AGRICULTURE                               comments. All comments received will                   exception would allow a producer, as
                                                                                                              be posted without change to http://                    defined by the regulations, to transition
                                                      Agricultural Marketing Service                          www.regulations.gov.                                   nonorganic dairy animals to organic
                                                                                                                Docket: For access to the docket,                    milk production one time, under
                                                      7 CFR Part 205                                          including background documents and                     specific conditions.
                                                      [Document Number AMS–NOP–11–0009;                       comments received, go to http://                          This proposal would specify that a
                                                      NOP–11–04PR]                                            www.regulations.gov. Comments                          producer (e.g., an individual or
                                                                                                              submitted in response to this proposed                 corporation starting or operating a dairy
                                                      RIN 0581–AD08                                           rule will also be available for viewing in             farm) could transition nonorganic dairy
                                                                                                              person at USDA–AMS, National Organic                   animals to organic milk production one
                                                      National Organic Program; Origin of
                                                                                                              Program, Room 2646—South Building,                     time over a single twelve-month period.
                                                      Livestock
                                                                                                              1400 Independence Ave. SW.,                            The proposal would require that all
                                                      AGENCY:  Agricultural Marketing Service,                Washington, DC, from 9 a.m. to 12 noon                 transitioning animals end the transition
                                                      USDA.                                                   and from 1 p.m. to 4 p.m., Monday                      process at the same time. This twelve-
                                                      ACTION: Proposed rule.                                  through Friday (except official Federal                month period is consistent with OFPA’s
                                                                                                              holidays). Persons wanting to visit the                requirement that there be a minimum
                                                      SUMMARY:    The U.S. Department of                      USDA South Building to view                            period of one year of organic
                                                      Agriculture’s Agricultural Marketing                    comments received in response to this                  management before milk from dairy
                                                      Service (USDA AMS) proposes to                          proposed rule are requested to make an                 animals can be sold as organic (7 U.S.C.
                                                      amend the origin of livestock                           appointment in advance by calling (202)                6509(e)(2)).
                                                      requirements for dairy animals under                    720–3252.                                                 This proposal would specify that,
                                                      the USDA organic regulations. This                      FOR FURTHER INFORMATION CONTACT:                       once the transition into organic
                                                      proposed action would specify that a                    Andrew Perry, Director, Standards                      production is complete, that a producer
                                                      producer can transition dairy animals                   Division, Telephone: (202) 720–3252;                   would not be allowed to conduct any
                                                      into organic production once. This                      Fax: (202) 205–7808.                                   additional transitions. After the
                                                      proposed action would clarify that, after                                                                      transition, the producer would only be
                                                      completion of this one-time transition,                 SUPPLEMENTARY INFORMATION:
                                                                                                                                                                     able to expand the number of dairy
                                                      any new dairy animals that a producer                   Executive Summary                                      animals or replace culled dairy animals
                                                      adds to a dairy farm would need to be                                                                          on any dairy farm in two ways: (1) Add
                                                      managed organically from the last third                 A. Purpose of Proposed Rule
                                                                                                                                                                     dairy animals that had been under
                                                      of gestation or sourced from dairy                         This proposed rule would create                     continuous organic management since
                                                      animals that already completed their                    greater consistency in the                             the last third of gestation, or (2) add
                                                      transition into organic production. This                implementation of a standard for the                   transitioned dairy animals that had
                                                      proposed action would also clarify how                  transition of dairy animals into organic               already completed the transition on
                                                      breeder stock should be managed on                      production and for the management of                   another dairy farm during that
                                                      organic livestock farms.                                breeder stock. AMS has determined that                 producer’s one-time transition.
                                                      DATES: Comments must be received by                     the current regulations regarding the                     The proposal would define a dairy
                                                      July 27, 2015.                                          transition of dairy animals and the                    farm as a specific premises with a
                                                      ADDRESSES: Interested parties may                       management of breeder stock on organic                 milking parlor where at least one
                                                      submit written comments on this                         operations need additional specificity                 lactating animal is milked. For the
                                                      proposed rule using one of the following                and clarity to improve AMS’ ability to                 purpose of this definition, a milking
                                                      methods:                                                efficiently administer the National                    parlor should be considered a physical
                                                         • Federal eRulemaking Portal: http://                Organic Program (NOP). A stated                        structure (e.g., barn, parlor) in which
                                                      www.regulations.gov. Follow the                         purpose of the Organic Foods                           dairy animals are milked. Because the
                                                      instructions for submitting comments.                   Production Act of 1990 (OFPA)                          dairy farm definition, in part, drives the
asabaliauskas on DSK5VPTVN1PROD with PROPOSALS




                                                         • Mail: Scott Updike, Agricultural                   (7 U.S.C. 6501–6522) is to assure                      eligibility for a producer to transition
                                                      Marketing Specialist, National Organic                  consumers that organically produced                    animals to organic production, this
                                                      Program, USDA–AMS–NOP, Room                             products meet a consistent and uniform                 action would mean that producers that
                                                      2646—So., Ag Stop 0268, 1400                            standard (7 U.S.C. 6501). This action                  only raise heifers for organic dairy farms
                                                      Independence Ave. SW., Washington,                      would facilitate and improve                           would not be eligible to transition
                                                      DC 20250–0268.                                          compliance with and enforcement of the                 conventional animals to organic. Such
                                                         Instructions: All submissions received               USDA organic regulations (7 CFR part                   producers do not milk animals and,
                                                      must include the docket number AMS–                     205) and maintain consumer trust in the                therefore, would not be considered
                                                      NOP–11–0009; NOP–11–04PR, and/or                        consistency of the Organic seal.                       eligible for the one-time transition


                                                 VerDate Sep<11>2014   20:51 Apr 27, 2015   Jkt 235001   PO 00000   Frm 00001   Fmt 4702   Sfmt 4702   E:\FR\FM\28APP1.SGM   28APP1


                                                      23456                          Federal Register / Vol. 80, No. 81 / Tuesday, April 28, 2015 / Proposed Rules

                                                      exception. However, such producers                                  extend to nonorganic breeder stock that                      contact of any organic production or
                                                      could continue raising heifers for                                  are themselves not certified or eligible                     products with prohibited substances (7
                                                      organic dairy farms as long as the                                  for slaughter, sale, and labeling as                         CFR 205.201(a)(5)). AMS is proposing
                                                      animals were under continuous organic                               organic. Further, OFPA specifically                          additional provisions for organic
                                                      management from the last third of                                   allows breeder stock to be purchased                         management of breeder stock during the
                                                      gestation.                                                          from any source if the stock is not in its                   time when the breeder stock is directly
                                                         This proposed rule reiterates that                               last third of gestation. Consistent with                     contributing to the nourishment of
                                                      breeder stock may be brought from a                                 OFPA and USDA organic regulations, a                         organic offspring, from the last third of
                                                      nonorganic operation onto an organic                                producer has flexibility in its sourcing                     gestation through the end of the nursing
                                                      operation at any time. While the                                    and its management of nonorganic
                                                                                                                                                                                       period.
                                                      regulations prohibit organic livestock                              breeder stock after its organic calf is
                                                      from being removed and managed on a                                 weaned and before it begins the last                         C. Costs and Benefits
                                                      nonorganic operation and subsequently                               third of gestation for the next offspring.
                                                      returned to an organic operation (i.e.,                             However, a producer must continue to                           AMS estimates the following costs
                                                      cycling in and out of organic                                       prevent commingling of organic and                           and benefits of this proposed rule.
                                                      production), this provision does not                                nonorganic products and prevent

                                                                                              Costs (range)                                                                                    Benefits

                                                      $288,000–$935,000 ..................................................................................   Will create a consistent, level playing field for all existing organic dairy
                                                      This range indicates the estimated costs for dairy producers to pur-                                     producers, regardless of how they transitioned into organic produc-
                                                        chase organic replacement heifers instead of transitioned heifers.                                     tion.
                                                        (AMS had no data to estimate costs for dairy sheep and goat farms)                                   Facilitates more consistent enforcement of organic dairy standards.
                                                        AMS believes the lower bound is a conservative estimate of the                                       Maintains consumer confidence in the USDA organic seal.
                                                        costs and actual costs could be less. The upper limit accounts for an
                                                        assumed organic premium for organic heifers. The difference be-
                                                        tween the lower bound and upper limit is believed to be an intra-in-
                                                        dustry transfer of costs and benefits, not a net cost.



                                                      Table of Contents                                                   farm and that plan to seek organic                           the stated position. Your comments
                                                      I. General Information
                                                                                                                          certification for that farm.                                 should also offer any recommended
                                                         A. Does this action apply to me?                                    • Existing dairy farms that are                           language changes that would be
                                                         B. What should I consider as I prepare my                        currently certified organic under the                        appropriate for your position. Please
                                                            comments for AMS?                                             USDA organic regulations.                                    include relevant information and data to
                                                      II. Background                                                         • Existing conventional dairy farms                       further support your position (e.g.
                                                         A. Dairy Transition                                              that are considering converting their                        scientific, environmental, industry
                                                         B. Breeder Stock                                                 farm to certified organic production.                        impact information, etc.).
                                                         C. Development of Existing Standards                                • Businesses engaged in raising
                                                         D. Discussion of Past Comments Received
                                                                                                                                                                                         Specifically, AMS is requesting
                                                                                                                          heifers for sale to certified organic
                                                      III. Overview of Proposed Amendments                                                                                             comments on the following topics:
                                                                                                                          operations.
                                                         A. Dairy Transition                                                 • Certifying agents accredited under                        1. The cost and benefit analysis
                                                         i. Implementation Considerations                                 the USDA organic regulations to certify                      presented, including assumptions and
                                                         B. Breeder Stock                                                 organic livestock operations.                                estimates, of limiting dairy transition to
                                                         C. Additional Clarifications
                                                                                                                             • Certifying agents accredited under                      a one-time exception for a given
                                                         D. Other Amendments Considered                                                                                                producer;
                                                      IV. Related Documents
                                                                                                                          the USDA organic regulations who may
                                                      V. Statutory and Regulatory Authority                               seek to certify transitioned dairy                             2. Procedures that certifying agents
                                                         A. Executive Order 12866 and 13563                               animals or transitional crops.                               would use under this proposal to
                                                         i. Need for the Rule                                                This listing is not intended to be                        determine whether a producer is eligible
                                                         ii. Baseline                                                     exhaustive, but rather provides a guide                      for the one-time transition; and
                                                         iii. Alternatives Considered                                     for readers regarding entities likely to be                    3. The proposed implementation
                                                         iv. Costs of Proposed Rule                                       affected by this action. Other types of                      approach for this rule.
                                                         v. Benefits of Proposed Rule                                     entities not listed in this section could
                                                         vi. Conclusions                                                  also be affected. To determine whether                       II. Background
                                                         B. Executive Order 12988
                                                                                                                          you or your business may be affected by                      A. Dairy Transition
                                                         C. Regulatory Flexibility Act
                                                         D. Executive Order 13175                                         this action, you should carefully
                                                                                                                          examine the proposed regulatory text. If                       AMS’ National Organic Program
                                                         E. Paperwork Reduction Act
                                                         F. Civil Rights Impact Analysis                                  you have questions regarding the                             (NOP) is authorized by OFPA. Through
                                                      VI. List of Subjects in 7 CFR Part 205                              applicability of this action to a                            the NOP, AMS oversees national
                                                                                                                          particular entity, consult the person                        standards for the production and
                                                      I. General Information                                              listed under FOR FURTHER INFORMATION                         handling of organically produced
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                                                      A. Does this action apply to me?                                    CONTACT.                                                     agricultural products. This action is
                                                                                                                                                                                       being taken by AMS to create greater
                                                        You may be potentially affected by                                B. What should I consider as I prepare                       consistency in the implementation of
                                                      this action if you are engaged in the                               my comments for AMS?                                         the origin of livestock requirements for
                                                      dairy industry. Potentially affected                                  Your comments should clearly                               organic dairy animals, and to facilitate
                                                      entities may include, but are not limited                           indicate whether or not they support the                     and improve compliance with and
                                                      to:                                                                 action being proposed for any or all of                      enforcement of the USDA organic
                                                        • Individuals or business entities that                           the items in this proposed rule. You                         regulations. This action is also being
                                                      are considering starting a new dairy                                should clearly indicate the reason(s) for                    taken to satisfy consumer expectations


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                                                                               Federal Register / Vol. 80, No. 81 / Tuesday, April 28, 2015 / Proposed Rules                                                 23457

                                                      that organic livestock meet a consistent                considered complete. Some dairy                        are weaned from the breeder stock (7
                                                      and uniform standard.                                   operations continuously transition                     CFR 205.236(a)).
                                                         Section 6509 of OFPA authorizes the                  conventional dairy animals as new                         Stakeholders, through public
                                                      USDA to implement regulations                           ‘‘distinct’’ herds into organic                        comment to the NOSB and comments to
                                                      regarding standards for organic livestock               production. This can be a cost savings                 NOP have expressed concern that some
                                                      products, including the transition of                   to a farmer because he or she does not                 operations may bring breeder stock onto
                                                      dairy animals into organic production.                  have to purchase organic dairy animals                 an organic operation, manage them
                                                      OFPA establishes that in general,                       to either expand their herd or replace                 organically for the last third of gestation
                                                      organic livestock will be managed                       their cull animals. Other dairy                        so that the breeder stock can produce
                                                      organically since the last third of                     operations have only used the transition               organic offspring, and then return that
                                                      gestation (7 U.S.C. 6509(b)). As an                     exception once when they initially                     breeder stock to nonorganic
                                                      exception for dairy animals, OFPA                       converted a ‘‘herd’’ to organic                        management. Some stakeholders,
                                                      requires a minimum period of one year                   production. Current practice also does                 including the NOSB, have suggested
                                                      of organic management before milk from                  not always align with the intent of the                that such a practice does not align with
                                                      non-organic dairy animals can be sold                   May 2003 NOSB recommendation and                       a regulatory provision that prohibits
                                                      as organic (7 U.S.C. 6509(e)(2)). OFPA                  the regulations that dairy herd transition             livestock removed from an organic
                                                      also addresses the use of breeder stock                 be used only one time, when a producer                 operation and subsequently managed on
                                                      on livestock farms (7 U.S.C. 6509(b)).                  with a farm initially transitions from                 a nonorganic operation to be sold,
                                                      Furthermore, OFPA authorizes the                        conventional to organic production.                    labeled, or represented as organically
                                                      creation of the National Organic                        AMS is updating the transition                         produced (section 205.236(b)).2
                                                      Standards Board (NOSB) to advise                        exception through this proposed                        C. Development of Existing Standards
                                                      USDA about the implementation of                        rulemaking.
                                                      standards and practices for organic                                                                               Between 1994 and 2006, the NOSB
                                                                                                                 In July 2013, the USDA Office of
                                                      production (7 U.S.C. 6518).                                                                                    made six recommendations regarding
                                                                                                              Inspector General (OIG) published an
                                                         The USDA organic regulations                                                                                origin of dairy animals; several of which
                                                                                                              audit report on organic milk operations
                                                      regarding the origin of livestock (7 CFR                                                                       included recommendations on the
                                                                                                              stating that certifying agents were
                                                      205.236(a)) require that all livestock                                                                         management of breeder stock.3 Between
                                                                                                              interpreting the origin of livestock
                                                      products (e.g., meat, fiber) sold, labeled,                                                                    1997 and 2000, AMS issued two
                                                                                                              requirements differently.1 According to
                                                      or represented as being organic must be                                                                        proposed rules and a final rule
                                                                                                              the OIG report, three of the six certifiers
                                                      from livestock under continuous organic                                                                        regarding national standards for
                                                                                                              interviewed by OIG allowed producers
                                                      management from the last third of                                                                              production and handling of organic
                                                                                                              to continuously transition additional
                                                      gestation onward. For dairy animals, the                                                                       products, including livestock and their
                                                                                                              herds to organic milk production, while
                                                      USDA organic regulations provide an                                                                            products. 4 5 AMS also issued a
                                                                                                              the other three certifiers did not permit
                                                      exception at section 205.236(a)(2) that                                                                        proposed rule and final rule
                                                                                                              this practice. OIG recommended that a
                                                      allows for the transition of a dairy herd                                                                      implementing congressional
                                                                                                              proposed rule be issued to clarify the
                                                      into organic production as long as they                                                                        amendments to the OFPA regarding feed
                                                                                                              standard and ensure that all certifiers
                                                      are under continuous organic                                                                                   for transitioning dairy animals.6 The
                                                                                                              consistently apply and enforce the
                                                      management for the one-year period                                                                             NOSB as well as the public commented
                                                                                                              origin of livestock requirements. This
                                                      prior to production of organic milk or                                                                         on these rulemakings with regard to the
                                                                                                              proposed rule responds to the OIG
                                                      milk products. During this one-year                                                                            origin of livestock and exception for
                                                                                                              finding on this issue.
                                                      period, dairy animals may consume                                                                              transition. Key points from these actions
                                                      crops and forage from land which is in                  B. Breeder Stock                                       that led to the development of the
                                                      the third year of organic management                                                                           existing standards on origin of livestock
                                                                                                                 OFPA states that breeder stock may be
                                                      and included in the organic system                                                                             are summarized below.
                                                                                                              purchased from any source if such stock
                                                      plan, but has not yet been certified                                                                              (1) In June 1994, the NOSB
                                                                                                              is not in the last third of gestation (7
                                                      organic (7 CFR 205.236(a)(2)(i)). Section                                                                      recommended a series of provisions to
                                                                                                              U.S.C. 6509(b)). The USDA organic
                                                      205.236(a)(2)(iii) requires that once an                                                                       address the source of livestock on
                                                                                                              regulations define breeder stock as
                                                      entire distinct herd has transitioned to                                                                       organic farms. Within this
                                                                                                              female livestock whose offspring may be
                                                      organic production, all dairy animals                                                                          recommendation, the NOSB stated that
                                                                                                              incorporated into an organic operation
                                                      shall be managed organically from the                                                                          dairy stock be fed certified organic feeds
                                                                                                              at the time of their birth (7 CFR 205.2).
                                                      last third of gestation.                                                                                       and raised under organic management
                                                         While the regulations allow for the                  OFPA and the regulations limit breeder
                                                                                                                                                                     practices for not less than 12 months
                                                      transition of a conventional herd to                    stock to nonorganic females who may
                                                                                                                                                                     prior to the sale of their milk as
                                                      organic milk production after one year                  produce organic offspring if certain
                                                                                                                                                                     organic.7
                                                      of organic management, the regulations                  conditions are met. The regulations
                                                                                                                                                                        (2) On December 16, 1997, AMS
                                                      do not define a herd. As such,                          specify that such breeder stock may be
                                                                                                                                                                     responded to the June 1994 NOSB
                                                      stakeholders have interpreted the term                  brought from a nonorganic operation
                                                      ‘‘herd’’ in a variety of ways. For                      onto an organic operation at any time (7                 2 National Organic Standards Board April 2003

                                                      example, some operations and certifying                 CFR 205.236(a)(3)). If breeder stock is                Recommendation on Breeder Stock: Clarification of
                                                      agents consider a herd to include all of                gestating and its offspring are to be                  Rule. Available online at: http://
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                                                                                                              raised as organic, the regulations require             www.ams.usda.gov/AMSv1.0/
                                                      the animals on the farm, whereas others                                                                        getfile?dDocName=STELDEV3104547.
                                                      consider a herd to be a group of animals                that the breeder stock be brought onto                   3 A complete listing of related documents and

                                                      on a farm that are managed together                     the facility no later than the last third              NOSB recommendations is found in Section III
                                                      over time.                                              of gestation and be under continuous                   below.
                                                         Additionally, organic operations and                 organic management until the offspring                   4 62 FR 65850; 65 FR 13512.
                                                                                                                                                                       5 65 FR 80548.
                                                      certifying agents have interpreted the                    1 The July 2013 Office of Inspector General (OIG)      6 71 FR 32803.
                                                      USDA organic regulations differently                    audit report on organic milk operations may be           7 NOSB Final Recommendation, 2 June 1994.
                                                      regarding when the transition of a herd                 accessed at the following Web site: http://            Available online at: http://www.ams.usda.gov/
                                                      into organic production should be                       www.usda.gov/oig/webdocs/01601-0002-32.pdf.            AMSv1.0/getfile?dDocName=stelprdc5058940.



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                                                      23458                    Federal Register / Vol. 80, No. 81 / Tuesday, April 28, 2015 / Proposed Rules

                                                      recommendation through publication of                   rule with respect to the origin of dairy               onward. The NOSB believed that this
                                                      a proposed rule.8 The language                          livestock. The NOSB stated that                        would ensure consistency with the
                                                      contained within that proposed rule                     livestock should be under organic                      current regulations at section
                                                      echoed the NOSB’s recommendation.                       management for one full year prior to                  205.236(a)(2)(iii). Their
                                                      The proposal would have required that                   the sale of organic milk with an                       recommendation also included a
                                                      dairy animals must be on a certified                    exception for conversion of an entire,                 provision for breeder stock (7 CFR
                                                      organic facility beginning no later than                distinct herd into organic production.                 205.236(a)(3)) requiring that breeder
                                                      12 months prior to the production of                    The NOSB laid out the following three                  stock remain under organic management
                                                      milk or milk products sold, labeled, or                 conditions for conversion of a herd into               indefinitely after their introduction onto
                                                      represented as organic. The 1997                        organic production:                                    an organic farm; that is to say, the
                                                      proposed rule also proposed that all                       • For the first nine months of the                  recommendation was to prohibit
                                                      feed provided to organic dairy livestock                final twelve-month dairy herd transition               breeder stock from rotating in and out
                                                      consist of organically produced and                     period, animals must be fed at least 80                of organic management.
                                                      handled agricultural products,                          percent feed that is either organic or                    (8) In May 2003, the NOSB
                                                      including pasture and forage. However,                  self-raised transitional feed. The                     recommended that following a
                                                      the proposed rule included a provision                  remaining 20 percent could be                          transition, all dairy livestock, including
                                                      to allow nonorganic feed up to a                        nonorganic during those nine months.                   replacement stock, remain under
                                                      maximum of 20 percent of the animal’s                      • For the final three months, animals               organic management from the last third
                                                      diet. The 20 percent level was roughly                  must be fed 100 percent organic feed.                  of gestation onward.14 Concurrently, the
                                                      representative of the nutrients provided                   • Once a dairy operation has been
                                                                                                                                                                     NOSB made a separate recommendation
                                                      from supplemental grain feeding, in                     converted to organic production, all
                                                                                                                                                                     regarding breeder stock.15 They
                                                      addition to nutrients provided by                       dairy animals shall be under organic
                                                                                                                                                                     recommended a requirement for
                                                      pasture and forage. The proposed                        management from the last third of
                                                                                                                                                                     operations to continuously manage all
                                                      language also contained a provision                     gestation, except that transitional feed
                                                                                                              raised on the farm may be fed to young                 breeder stock as organic if they were
                                                      that, if necessary, a herd of dairy                                                                            brought onto an organic farm to produce
                                                      livestock converting to organic                         stock up to 12 months prior to milk
                                                                                                              production.                                            organic offspring. The NOSB further
                                                      management for the first time could be                                                                         advocated that the NOP issue guidance
                                                      provided with nonorganic feed until 90                     (6) On December 21, 2000, AMS
                                                                                                              published a final rule establishing the                in the form of questions and answers to
                                                      days prior to the production of organic                                                                        clarify the management of breeder stock
                                                      milk or milk products. This proposed                    USDA organic regulations.12 Through
                                                                                                              this action, AMS finalized the origin of               to the industry.
                                                      rule was never finalized.9
                                                         (3) In March 1998, the NOSB                          livestock provision, including a                          (9) In October 2003, a legal challenge
                                                      provided a second recommendation                        requirement that organic milk be                       was filed against USDA stating that,
                                                      reaffirming its 1994 recommendation on                  produced from animals under organic                    among other things, the OFPA required
                                                      the source of livestock.10 The March                    management beginning no later than                     organic dairy animals be fed 100 percent
                                                      1998 NOSB recommendation also                           one year prior to the production of milk               organic feeds, and thus, the 80/20 rule
                                                      recommended that livestock comprising                   or milk products sold, labeled, or                     for the transition of dairy animals was
                                                      part of a mixed crop/livestock operation                represented as organic. The rule further               in violation of the statute.16
                                                      should qualify to be certified organic at               incorporated the exceptions                               (10) On January 26, 2005, the U.S.
                                                      the end of the transition period.                       recommended by the NOSB by allowing                    Court of Appeals for the First Circuit
                                                         (4) On March 13, 2000, AMS                           80 percent organic feed and 20 percent                 issued a decision in the case.17 The
                                                      published a proposed rule that would                    nonorganic feed (i.e., the ‘‘80/20’’ rule)             court upheld the USDA organic
                                                      establish the USDA organic                              for transitioned animals. AMS did not                  regulations in general, but remanded the
                                                      regulations.11 Within this proposed                     include NOSB’s recommendation                          case to the lower court, for, among other
                                                      rule, AMS responded to the NOSB’s                       allowing young stock to be fed                         things, the entry of a declaratory
                                                      March 1998 recommendation on the                        transitional feeds. In the preamble to the             judgment with respect to the 80/20
                                                      source of livestock. AMS proposed to                    final rule, AMS explained that such a                  dairy transition allowance, then
                                                      require that livestock be under                         provision would allow animals to                       codified in section 205.236(a)(2)(i) of
                                                      continuous organic management                           transition at different times, rather than             the regulations. The lower court found
                                                      beginning no later than one year prior                  as a herd, thereby making it                           the 80/20 dairy transition provisions at
                                                      to the production of organic milk or                    incompatible with the notion that the                  section 205.236(a)(2)(i) to be contrary to
                                                      milk products. Unlike AMS’ 1997                         whole herd transition was a distinct                   the OFPA and in excess of the
                                                      proposal, the 2000 proposed rule did                    one-time event.13 AMS further                          Secretary’s rulemaking authority.18
                                                      not include a provision for the                         described that the exception to
                                                      allowance of nonorganic feed during the                 transition is a one-time opportunity for                  14 National Organic Standards Board May 2003

                                                      12-month transition period.                                                                                    Recommendation on Origin of Livestock:
                                                                                                              producers to implement a conversion                    Recommendation for Rule Change (document dated
                                                         (5) On June 12, 2000, the NOSB                       strategy for an established discrete dairy             April 2003). Available online at: http://www.ams.
                                                      commented on the second proposed                        herd in conjunction with the land                      usda.gov/AMSv1.0/getfile?dDocName=STELDEV
                                                                                                              resources that sustain it. This rule went              3104546.
                                                        8 62                                                                                                            15 National Organic Standards Board May 2003
                                                              FR 65850.
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                                                                                                              into effect on February 20, 2001, and
                                                        9 Due  to the volume and content of public                                                                   Recommendation on Breeder Stock: Clarification of
                                                      comments submitted in response to the 1997
                                                                                                              was fully implemented on October 21,                   Rule (document dated April 2003). Available online
                                                      proposed rule, AMS withdrew the proposal and            2002.                                                  at: http://www.ams.usda.gov/AMSv1.0/getfile?dDoc
                                                      issued a second proposed rule prior to the final rule      (7) In October 2002, the NOSB                       Name=STELDEV3104547.
                                                                                                                                                                        16 Harvey v. Veneman, 297 F.Supp. 2d 334 (D.
                                                      that established the National Organic Program           recommended that all replacement and
                                                      (NOP) (published December 21, 2000).                                                                           Maine 2004).
                                                         10 NOSB Committee Report and Adopted
                                                                                                              expansion dairy animals be raised as                      17 Harvey v. Veneman, 396 F.3d 28 (1st Cir.

                                                      Recommendations, 16 March 1998. Available               organic from the last third of gestation               2005).
                                                      online at: http://www.ams.usda.gov/AMSv1.0/                                                                       18 Harvey v. Johanns. Civil No. 02–216–P–H.
                                                      getfile?dDocName=stelprdc5058929.                         12 65   FR 80548.                                    Consent Final Judgment and Order, 9 June 2005.
                                                         11 65 FR 13512.                                        13 65   FR 80570.                                    Available online at: http://www.ams.usda.gov/



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                                                                               Federal Register / Vol. 80, No. 81 / Tuesday, April 28, 2015 / Proposed Rules                                           23459

                                                         (11) On November 10, 2005, Congress                  205.236(a)(2)(i)), as well as setting a                clarity on how animals can transition
                                                      amended the OFPA to allow a special                     termination date of June 9, 2007, for the              into organic production is needed. Some
                                                      provision for transitioning dairy                       existing 80/20 feed conversion rule (7                 commenters stressed that organic dairy
                                                      livestock to organic production (7 U.S.C.               CFR 205.236(a)(2)(ii)). In the preamble                products were keystone products for
                                                      6509(e)(2)(B)). This amendment                          to the 2006 final rule, AMS noted that                 consumer confidence and a major
                                                      provided a new provision to allow crops                 additional clarity could be provided                   stepping-stone to additional purchases
                                                      and forage from land included in the                    regarding the transition of dairy animals              in other organic categories.
                                                      organic system plan of a farm that was                  into organic production.                                  Commenters stated that continued
                                                      in the third year of organic management                                                                        transition of conventional animals
                                                                                                              D. Discussion of Past Comments                         increases the supply of animals able to
                                                      to be consumed by the dairy animals on
                                                                                                              Received                                               produce organic milk, depresses the
                                                      the farm during the 12 month period
                                                      immediately prior to the sale of organic                   The approximately 12,725 combined                   value of organic heifers and limits the
                                                      milk and milk products.                                 comments received on the April 2006                    incentives to produce organic
                                                         (12) On April 27, 2006, AMS                          proposed rule addressing the court                     replacement animals. They also stated
                                                      published a proposed rule entitled                      order and the April 2006 advanced                      that the allowance to transition a large
                                                      ‘‘Revisions to Livestock Standards                      notice of proposed rulemaking on access                number of animals, rather than
                                                      Based on Court Order’’ to address the                   to pasture provided AMS with                           purchasing or raising animals as organic
                                                      November 2005 amendments to                             information needed to develop this                     from last third of gestation, results in
                                                      OFPA.19 AMS received nearly 12,400                      proposed action. In general, comments                  surplus organic heifer calves being sold
                                                      comments on the issue of dairy animal                   requested greater clarity on the                       into the conventional market. Some
                                                      replacement during the comment period                   parameters for transitioning dairy                     commenters stated that the practice of
                                                      for this proposed rule. Additionally, in                animals into organic production, and                   allowing some operations to transition
                                                      response to the April 13, 2006,                         called for elimination of the ‘‘two-track’’            conventional animals on a regular basis
                                                      advanced notice of proposed                             system. The ‘‘two-track’’ system refers to             encouraged development of heifer
                                                      rulemaking on access to pasture, AMS                    an April 2003 NOP statement that once                  development farms. They based this
                                                      received over 325 comments on the                       an entire, distinct herd transitioned                  belief on the position that it is easier
                                                      issue of dairy animal replacement.20                    using the 80/20 provision (20%                         and cheaper to purchase transitioned
                                                      Neither of these actions intended to                    nonorganic feed in the 12 months before                animals from heifer development farms
                                                      address the dairy replacement or                        milking), all offspring then had to be                 than it is to raise animals that are
                                                      transition issue as an objective.                       managed organically and no                             organic from birth. Commenters claimed
                                                      Accordingly, the comments were not a                    transitioned replacements could be                     that raising organic dairy animals is
                                                      part of subsequent rulemaking for either                purchased.23 The NOP also stated that,                 twice as expensive as raising
                                                      action as they were beyond the scope of                 for those that did not use the 80/20                   conventional dairy animals during their
                                                      these rules. They are, however,                         provision, the dairy animals only                      first year of life. They contended that
                                                      acknowledged and discussed in this                      needed to be under continuous organic                  producers who sell organic calves and
                                                      proposed rule.                                          management starting no later than 12                   replace them with transitioned
                                                         (13) On May 12, 2006, the NOSB                       months prior to production (i.e.,                      conventionally raised heifers, have an
                                                      commented on the ‘‘Revisions to                         producers could continue to transition                 economic advantage over those who
                                                      Livestock Standards Based on Court                      animals into organic over time).                       raise animals organically from birth, due
                                                      Order (Harvey v. Johanns) and 2005                         The majority of commenters stated                   to lower cost of conventional feed and
                                                      Amendment to the Organic Foods                          that the ‘‘two-track’’ system could be                 ability to shorten the interval before
                                                      Production Act of 1990’’ proposed rule                  addressed by conveying that, once a                    milk production by purchasing older
                                                      published April 27, 2006.21 The NOSB                    dairy operation is certified organic,                  animals. Commenters believed that for
                                                      amended its May 2003 dairy                              regardless of how that operation                       the organic heifer market to develop,
                                                      replacement recommendation to read:                     transitioned into organic, all new dairy               and for there to be more organic stock
                                                      ‘‘Once a dairy operation has been                       animals added to that operation should                 available at an appropriate market
                                                      converted to organic production, all                    be managed organically from the last                   value, greater clarity is needed in the
                                                      dairy animals, including all young stock                third of gestation. Commenters stated                  regulations to convey that organic
                                                                                                                                                                     heifers are required in every case,
                                                      whether born on or brought onto the                     that this principle should apply to those
                                                                                                                                                                     except for the one-time initial transition
                                                      operation, shall be under organic                       animals born on the farm and those
                                                                                                                                                                     of a dairy operation.
                                                      management from the last third of the                   purchased as replacement and                              At the time of the 2006 proposed rule,
                                                      mother’s gestation.’’                                   expansion animals to increase herd size.               commenters stated that at least nine
                                                         (14) On June 7, 2006, AMS published                     Commenters stated that only allowing                U.S.-based certifying agents were
                                                      a final rule entitled ‘‘Revisions to                    organic dairy operations to add animals                requiring the dairy operations they
                                                      Livestock Standards Based on Court                      who have been managed organically                      certified (approximately 1,100 certified
                                                      Order’’ to implement the November                       since the last third of gestation supports             and 150 transitioning operations) to
                                                      2005 statutory change.22 The                            consumer confidence in the organic                     manage all replacement dairy animals
                                                      amendments reflected the new OFPA                       milk sector. They reiterated that                      organically from the last third of
                                                      allowance permitting transitioning dairy                consumers expect that organic milk is                  gestation. This accounted for roughly
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                                                      animals to be fed feedstuffs from                       produced without the use of excluded                   50% of the organic dairy operations at
                                                      transitioning lands in their last of the                methods and substances prohibited                      that time. Other certifying agents were
                                                      three-year period (7 CFR                                under the regulations (i.e., hormones,                 allowing the other approximately 50%
                                                                                                              antibiotics, and certain animal                        of dairy operations to transition
                                                      AMSv1.0/getfile?dDocName=STELDEV3013564&                medications), and believe that greater                 conventional animals to organic on a
                                                      acct=noprulemaking.
                                                        19 71 FR 24820.
                                                                                                                23 National Organic Program, Origin of Livestock
                                                                                                                                                                     continual basis. Commenters stressed
                                                        20 71 FR 19131.
                                                                                                              Statement. April 11, 2003. Available online at
                                                                                                                                                                     that a main purpose of the OFPA was
                                                        21 71 FR 24820.
                                                                                                              www.regulations.gov under ‘‘Related Documents’’        consumer assurance that organically
                                                        22 71 FR 32803.                                       for docket number AMS–NOP–11–0009.                     produced products met a consistent


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                                                      23460                    Federal Register / Vol. 80, No. 81 / Tuesday, April 28, 2015 / Proposed Rules

                                                      standard and that the current origin of                 premises are milked. This definition is                Because the one-time transition is tied
                                                      livestock standard needs further                        similar to the definitions of a dairy farm             to the producer (i.e., a farm or business),
                                                      specificity to meet that purpose.                       used by the AMS Dairy Grading                          employees of that producer are not
                                                         Since receiving these comments in                    Program.24                                             themselves considered a producer
                                                      response to the 2006 proposed rule,                        This proposal would define a                        utilizing a one-time transition. Under
                                                      diverse stakeholders including trade                    transitioned animal to clarify which                   the proposal, such employees would
                                                      associations, organic dairy producer                    animals are eligible to produce organic                retain their ability to establish a new
                                                      groups, consumer organizations, and                     milk, but are not eligible for certification           business entity as a producer that may
                                                      certifying agents continue to submit                    as organic slaughter stock or eligible for             be eligible for its own one-time
                                                      letters to NOP requesting greater clarity               certification for purpose of organic fiber             transition.
                                                      on the origin of livestock provisions of                production. This definition supports the                  In addition, while the definition of
                                                      the regulations. In response to those                   current requirement that meat or fiber                 person includes cooperatives,
                                                      requests, NOP engaged stakeholders in                   come from animals under continuous                     cooperatives would not themselves seek
                                                      ongoing discussions over the last two                   organic management since the last third                a one-time exception to transition
                                                      years related to potential changes and                  of gestation (7 CFR 205.236(a)). The                   animals into organic production. There
                                                      any associated costs and benefits of                    transitioned animal definition and its                 are business entities, including
                                                      these changes. AMS developed this                       relevance to this action are discussed in              cooperatives, within the organic dairy
                                                      proposed rule in response to the public                 more detail below.                                     sector that are typically certified as
                                                      comments and feedback we have                              This proposal would define a                        organic handlers, not as organic
                                                      received regarding the origin of                        transitional crop as any agricultural                  producers, and who would not meet the
                                                      livestock provisions.                                   crop or forage from land, included in                  definition of a dairy farm. Instead, these
                                                                                                              the organic system plan of a producer’s                entities contract with multiple organic
                                                      III. Overview of Proposed Amendments                    operation, that has had no application of              producers for their milk supply. Under
                                                      A. Dairy Transition                                     prohibited substances within one year                  this proposal, the eligibility for a one-
                                                                                                              prior to harvest of the crop or forage.                time transition is tied to a producer, as
                                                         AMS is proposing to add five new                                                                            specified on an organic certificate, and
                                                                                                              Based upon this definition, AMS would
                                                      terms: Organic management, dairy farm,                                                                         they would need to meet the definition
                                                                                                              add a related definition for third-year
                                                      transitioned animal, transitional crop,                                                                        of a dairy farm and other proposed
                                                                                                              transitional crop. A third-year
                                                      and third-year transitional crop to those                                                                      requirements.
                                                                                                              transitional crop would be defined as
                                                      defined at section 205.2. Organic                                                                                 Dairy producers with multiple farms
                                                                                                              crops and forage from land, included in
                                                      management would be defined as                                                                                 would need to make a decision about
                                                                                                              the organic system plan of a producer’s
                                                      management of an organic production or                                                                         how to transition to organic production.
                                                                                                              operation, that has had no application of
                                                      handling operation in compliance with                                                                          Producers with multiple farms have a
                                                                                                              prohibited substances within 2 years
                                                      all applicable production and handling                                                                         single twelve month period in which
                                                                                                              prior to harvest of the crop or forage.
                                                      provisions under the regulations.                                                                              they may transition conventional dairy
                                                                                                              Third-year transitional crops need to
                                                      Stakeholders have questioned whether                                                                           animals to organic milk production.
                                                                                                              meet all other requirements of the
                                                      the term ‘‘organic management’’ in the                                                                         During this transition period, these
                                                                                                              regulations (e.g., soil fertility and crop
                                                      regulations is related to compliance                                                                           producers may transition all animals on
                                                                                                              nutrient management practice standard
                                                      with the regulations or to some other                                                                          all the farms, some of the animals on
                                                                                                              (section 205.203); use of organic seed if
                                                      generic use or understanding of the                                                                            some of the farms, all the animals on
                                                                                                              commercially available (section
                                                      term. Providing a definition for this                                                                          one of the farms, or some of the animals
                                                                                                              205.204)). OFPA and the regulations
                                                      term would confirm that its use is                                                                             on one of the farms. The producer
                                                                                                              currently allow producers to feed these
                                                      directly tied to the regulations. For                                                                          would initiate the transition to organic
                                                                                                              third year transitional crops to dairy
                                                      example, the regulations allow crops                                                                           milk production at least 12 months prior
                                                                                                              animals in transition (7 U.S.C.
                                                      and forage in their third year of organic                                                                      to completing the transition and
                                                                                                              6509(e)(2)(b); existing section
                                                      management to be fed to livestock                                                                              obtaining organic certification.
                                                                                                              205.236(a)(2)(i)).
                                                      transitioning to organic production. In                    AMS is proposing to amend the                       However, once the transition period
                                                      the case of crops and forage in their                   introductory text at section                           ends, the producers may not themselves
                                                      third year of organic management, this                  205.236(a)(2) to reflect that the one-time             transition any additional animals into
                                                      means that the land they are grown on                   exception to transition to organic dairy               organic production. Instead, they would
                                                      must meet certain requirements of the                   production would be limited to a given                 need to source animals as organically
                                                      regulations as it transitions into certified            producer. A producer is defined under                  managed since the last third of gestation
                                                      organic production (e.g., per section                   the regulations as ‘‘a person who                      or those already transitioned to organic
                                                      205.202(b), no prohibited substances                    engages in the business of growing or                  production on a different producer’s
                                                      applied to land). Further, during the                   producing food, fiber, feed, and other                 dairy farm.
                                                      transition period for dairy animals, they               agricultural-based consumer products’’                    The proposed amendments would
                                                      must be under organic management in                     (section 205.2). The regulations also                  replace the current text at section
                                                      compliance with the regulations. This                   define a person as an ‘‘individual,                    205.236(a)(2) to specify that each
                                                      means producers need to meet all of the                 partnership, corporation, association,                 producer would be able to conduct one
                                                      livestock requirements during that                                                                             transition. To be eligible for a transition,
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                                                                                                              cooperative or other entity’’ (section
                                                      transition period (e.g., per section                                                                           the proposal language specifies that the
                                                                                                              205.2). This definition is based on the
                                                      205.237, provide animals with a                                                                                producer must start a new organic dairy
                                                                                                              definition of person under OFPA (7
                                                      specified amount of dry matter from                                                                            farm or transition an existing
                                                                                                              U.S.C 6502(15)). A producer must be a
                                                      pasture during the farm’s grazing                                                                              conventional dairy farm to organic
                                                                                                              person as described in section 205.2 to
                                                      season).                                                                                                       certification. This transition would need
                                                                                                              be eligible for a one-time transition.
                                                         Under this proposal, AMS would                                                                              to occur over a single, continuous 12-
                                                      define a dairy farm as a premises, which                  24 USDA AMS. July 2011. Milk for Manufacturing       month period prior to production of
                                                      must have a milking parlor, where one                   Purposes and its Production and Processing.            milk or milk products that are to be
                                                      or more lactating animals raised on that                Recommended Requirements. Dairy Programs.              sold, labeled, or represented as organic.


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                                                                               Federal Register / Vol. 80, No. 81 / Tuesday, April 28, 2015 / Proposed Rules                                           23461

                                                      After completing a transition, that                     attestations by checking past                             AMS also did not choose the current
                                                      producer would not be able to transition                certification records associated with that             herd standard because a given operation
                                                      any new animals into organic                            producer.                                              can have a new herd every year, or even
                                                      production.                                                AMS also considered linking the                     multiple per year, allowing farmers to
                                                         For example, if producer A already                   transition exception to the operation.                 transition new animals annually, if not
                                                      completed a transition on dairy farm A,                 Based on stakeholder feedback and past                 more often. The intent of our proposal
                                                      then producer A would not be eligible                   NOSB recommendations, the term                         is to provide a clear, consistent standard
                                                      to transition animals into organic                      ‘‘operation’’ is used at times, as is the              that when implemented will reflect the
                                                      production on dairy farm B. Under this                  term ‘‘producer’’, to describe how a one-              NOSB recommendation to allow for a
                                                      proposal, once a producer completes its                 time exception to transition into organic              producer to use a one-time transition of
                                                      transition of dairy animals into organic                dairy production could be structured.                  animals into organic milk production.
                                                      production, a producer would have two                   Upon review, AMS is proposing to link                  Providing a producer with a one-time
                                                      options for bringing any new dairy                      the transition to a given producer rather              exception to transition dairy animals to
                                                      animals onto a producer’s organic dairy                 than an operation because both                         organic milk production best captures
                                                      farm(s) (whether for expansion or                       producer and person are already defined                the intent of the NOSB’s
                                                      replacement purposes): (1) Add animals                  under OFPA and the implementing                        recommendation. It also supports the
                                                      that are under continuous organic                       regulations.                                           concept discussed in the 2000 final rule
                                                      management from the last third of                          Other stakeholders suggested limiting               establishing the USDA organic
                                                      gestation; or (2) add transitioned                      the transition such that after an                      regulations that transition to organic
                                                      animals sourced from a certified organic                operation completed its one-time                       dairy should be a distinct, one-time
                                                      dairy producer.                                         transition, any persons responsibly                    event for a producer.25
                                                         Because the dairy farm definition, in                connected to that operation could not                     Under the proposed amendments, any
                                                      part, would drive the eligibility for a                 transition additional animals into                     transition would need to meet certain
                                                      producer to transition animals to                       organic production. ‘‘Responsibly                      conditions. Proposed section
                                                      organic production, producers that only                 connected’’ is defined under the current               205.236(a)(2)(i) would specify that dairy
                                                      raise heifers for organic dairy farms                   regulations as ‘‘any person who is a                   animals must be under continuous
                                                      would not be eligible to transition                     partner, officer, director, holder,                    organic management during the 12-
                                                      conventional animals to organic. Such                   manager, or owner of 10 percent or more                month transition period. This aligns
                                                      producers do not milk animals and,                      of the voting stock of an applicant or a               with the provision in OFPA which
                                                      therefore, would not be eligible for a                  recipient of certification or                          requires that dairy animals be managed
                                                      transition. Such producers could                        accreditation’’ (7 CFR 205.2). This                    as organic for at least 12 months prior
                                                      continue raising heifers for organic                    approach would require a person with                   to the production of organic milk.26
                                                      dairy farms as long as the animals were                 an operation to list all persons                       During the 12-month period, proposed
                                                      under continuous organic management                     responsibly connected to that operation                section 205.236(a)(2)(ii) would specify
                                                      from the last third of gestation.                       to document the relationship various                   that the producer should describe its
                                                         AMS considered alternatives to our                   individuals had to the dairy farm. This                transition approach as part of the
                                                      proposal that would link the                            approach would be difficult to                         organic system plan already required at
                                                      transitioned exception to a producer.                   document and difficult for a certifier to              section 205.200. Under existing section
                                                      These alternatives included linking the                 verify for the purpose of certification.               205.401, the producer must submit this
                                                      one-time transition exception to a dairy                This approach also would be overly                     organic system plan as part of an
                                                      farm, an operation, persons responsibly                 prescriptive. For example, under this                  application for certification to a
                                                      connected, and the current unit of                      approach, new managers on a farm, who                  certifying agent. We are proposing this
                                                      regulation, a herd. We did not choose                   had never been part of a transition,                   provision to ensure that applicants for
                                                      the dairy farm by itself as the criterion               would be restricted from starting a new                organic certification can demonstrate
                                                      for eligibility to transition because it                dairy farm on a different location and                 their ability to comply early on in the
                                                      would allow a given producer to                         completing their own transition of dairy               certification process. The intent is to
                                                      transition dairy animals on multiple                    animals into organic production. This                  support communication between the
                                                      dairy farms over time. This proposal                    approach could also restrict the ability               applicant and the certifying agent about
                                                      was drafted to create greater consistency               for children of organic dairy producers                the transition approach and to minimize
                                                      in the implementation of the transition                 to transition animals into organic                     situations in which a producer
                                                      mechanism so that it is not used as a                   production. Children could be                          approaches a certifying agent after 12
                                                      continual means of producing organic                    ‘‘responsibly connected’’ to their                     months of transitioning animals only to
                                                      milk without purchasing organic stock                   parents’ farm if they served as managers               realize that they did not complete the
                                                      once a producer has converted to                        or partners. If their parents had already              transition as specified in the
                                                      organic production. Furthermore, AMS                    completed a transition, then these                     regulations.
                                                      could not identify how a producer and                   children, who were managers or                            This proposal would make minor
                                                      a certifying agent could verify that a                  partners, could not transition any                     revisions to a provision under the
                                                      transition had not already occurred on                  additional animals if they bought that                 current regulations that allows dairy
                                                      a given dairy farm. This would be                       farm because they would be considered                  animals undergoing transition to
                                                      especially difficult as time went on and                ‘‘responsibly connected’’ to the parents’              consume ‘‘third-year’’ crops. The
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                                                      a dairy farm may have changed                           operation. For these reasons, AMS is not               proposed provision would appear at
                                                      ownership multiple times. By linking                    proposing this approach. Rather, under                 section 205.236(a)(2)(iii) and would
                                                      the transition to a given producer, a                   the proposed language that a one-time                  specify that, during the 12-month
                                                      producer (e.g., an individual or a                      exception is tied to a given ‘‘producer’’,             transition, dairy animals may consume
                                                      corporation) can attest to a certifying                 employees, such as managers or                         third-year transitional crops which this
                                                      agent as part of their application for                  partners, including children, could start              proposal would define at section 205.2.
                                                      certification that they have not already                up a new business entity with a dairy
                                                      completed a dairy transition and                        farm and be eligible for their own one-                 25 65   FR 80569–80570.
                                                      certifying agents could verify such                     time transition.                                        26 7   U.S.C. 6509(e)(2)(A).



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                                                      23462                           Federal Register / Vol. 80, No. 81 / Tuesday, April 28, 2015 / Proposed Rules

                                                         During the development of this                                    milk production after 12 months of                                     offspring must be considered
                                                      proposed rule, the exception for                                     continuous organic management; (2) any                                 transitioned animals if they were born
                                                      transitioning dairy animals raised the                               offspring born during or after the 12-                                 during or after the 12-month dairy herd
                                                      question about the eligibility of those                              month transition period to a                                           transition period and not fed certified
                                                      animals and their offspring for                                      transitioned animal that, during its last                              organic feed from the last third of
                                                      certification as organic slaughter stock                             third of gestation, consumes crops and                                 gestation onward.
                                                      or for the purpose of organic fiber.                                 forages in the third year of organic
                                                      Third-year crops and forages are                                     management; or (3) any offspring born                                     For a producer and certifying agent to
                                                      allowed by OFPA as feed for                                          during the one-time transition exception                               determine whether offspring is eligible
                                                      transitioned animals that will produce                               that themselves consume crops and                                      for organic dairy, meat and/or fiber, the
                                                      organic milk.27 However, these crops                                 forages in the third year of organic                                   length of gestation for different dairy
                                                      are not yet certified organic and should                             management. The proposed definition                                    animals (e.g., cows, goats, sheep) and
                                                      be treated as nonorganic feeds when                                  specifies that such animals must not be                                feed source must be considered. For
                                                      determining if an animal has been                                    sold, labeled, or represented as organic                               offspring to be certified organic for meat
                                                      raised organically since the last third of                           slaughter stock or for the purpose of                                  and fiber, it must be under continuous
                                                      gestation.                                                           organic fiber.28 The current regulations                               organic management, including
                                                         Therefore, to clarify the status of                               already require that slaughter stock and                               receiving certified organic feed, from the
                                                      offspring born during and just after the                             livestock, with the exception of poultry                               last third of gestation (7 CFR
                                                      transition period and whether they                                   and certain dairy animals, be under                                    205.236(a)). This requirement is
                                                      would be eligible for certification as                               continuous organic management since                                    reiterated through proposed section
                                                      organic slaughter stock or for organic                               the last third of gestation (7 CFR                                     205.236(a)(2)(v). A practical summary of
                                                      fiber, AMS is proposing to add a                                     205.236(a)). This proposed rule does not                               how certifying agents and producers
                                                      definition for a transitioned animal at                              change, but rather reiterates how that                                 would apply the proposed amendments
                                                      section 205.2. Transitioned animal                                   requirement applies to animals that                                    about the status of offspring at sections
                                                      would be defined as: (1) Any dairy                                   were part of a dairy transition. This term                             205.236(a)(2)(iv)–(v) is shown in
                                                      animal that transitioned during the one-                             is used in proposed section
                                                                                                                                                                                                  Table 1.
                                                      time transition exception to organic                                 205.236(a)(2)(iv) which specifies that

                                                                                                      TABLE 1—STATUS OF OFFSPRING PART OF A DAIRY TRANSITION
                                                                                                                                                                                                         Could it be certified          Could it be certified
                                                       Type of feed consumed by offspring during transition or during its last third                                    Is it considered a               to produce organic             to produce organic
                                                                                    of gestation                                                                      transitioned animal?                      milk?                      meat or fiber?

                                                      Third year transitional crops ...........................................................................     Yes ..............................   Yes ........................   No.
                                                      Certified organic crops ...................................................................................   No ...............................   Yes ........................   Yes.



                                                         Proposed section 205.236(a)(2)(vi)                                one-time transition period, then the                                   organic dairy farm as long as the animal
                                                      would require that all dairy animals for                             producer could (1) source organic dairy                                is under continuous organic
                                                      a given producer end the transition at                               animals, or (2) source nonorganic                                      management at all times on a certified
                                                      the same time. AMS considered                                        animals and extend the transition                                      organic dairy farm. Movement of
                                                      allowing dairy animals to have                                       period for all animals undergoing                                      transitioned animals to other certified
                                                      staggered transition periods, but chose                              transition such that they end their                                    organic dairies would not affect the
                                                      not to allow that option as it could                                 transition together after 12-months of                                 status of the animals to produce organic
                                                      complicate the transition process. As a                              organic management.                                                    milk. Based on some stakeholder
                                                      practical matter, a staggered transition                                Proposed section 205.236(a)(2)(vii)                                 comments, AMS considered limiting
                                                      would create more difficulty in animal                               would specify that dairy animals that                                  transitioned animals to produce organic
                                                      management for the producer since                                    completed the 12-month transition are                                  milk only on the dairy farm upon which
                                                      animal transitions would start and end                               transitioned animals as defined under                                  they were transitioned. However, AMS
                                                      at different times. Furthermore, it would                            section 205.2. In practical terms, this                                believes that some movement or inter-
                                                      require more advanced records                                        would mean that these dairy animals                                    farm sales of transitioned animals is
                                                      management creating a greater burden                                 can produce organic milk, but are not                                  reasonable and expected. For example,
                                                      on the producer, more difficulty in                                  eligible for certification as organic                                  if an existing organic dairy producer
                                                      overseeing the process, and increased                                slaughter stock or for the purpose of                                  purchased an adjoining organic farm, it
                                                      room for error or potential violation. If                            organic fiber. This is consistent with the                             may be necessary for that farmer’s
                                                      a producer wants to bring in additional                              existing requirement at section                                        transitioned animals to leave their
                                                      animals after the producer completes its                             205.236(a) that, with the exception of                                 original premises of transition to take
                                                      transition, then the producer may use                                poultry and dairy, livestock products                                  advantage of the new adjoining
                                                      breeder stock or source organic dairy                                must be from animals that are under                                    pastureland. Similarly, if an organic
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                                                      animals (either last third gestation                                 continuous organic management since                                    dairy producer wanted to move his/her
                                                      animals or transitioned animals from a                               the last third of gestation.                                           operation to an updated organic facility
                                                      certified organic dairy farm that already                               Proposed section 205.236(a)(2)(viii)                                on another property, it would create an
                                                      completed its transition). If a producer                             would specify that, after the 12 month                                 excessive burden if transitioned animals
                                                      decides to increase the number of                                    transition period, transitioned animals                                were not permitted to move to the new
                                                      animals undergoing transition during a                               may produce organic milk on any                                        facility. This provision will also allow
                                                        27 7   U.S.C. 6509(e)(2)(B).                                         28 Organic slaughter stock is defined in the                         slaughtered for consumption by humans or other
                                                                                                                           regulations as any animal intended to be                               animals (7 CFR 205.2).



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                                                                               Federal Register / Vol. 80, No. 81 / Tuesday, April 28, 2015 / Proposed Rules                                                    23463

                                                      the transitioned dairy animals to                       operations identify whether dairy                      Producers who are certified as of the
                                                      continue producing organic milk if there                animals are organically managed from                   effective date for any final action would
                                                      is a change in ownership to a different                 the last third of gestation and, thus,                 be allowed to complete any transition
                                                      producer, provided the dairy animals                    potentially eligible for certification as              that was already approved under their
                                                      are under continuous organic                            organic slaughter stock, or transitioned               organic system plan by a certifying
                                                      management throughout this time.                        into organic production, and, thus, not                agent. However, as of the effective date,
                                                         AMS is also proposing new section                    eligible as organic slaughter stock                    producers who are certified would be
                                                      205.236(ix) to specify that, after the 12-              (section 205.236(b)(2) and (c)). The                   required to source or raise any new
                                                      month period ends, any new dairy                        primary new responsibility for                         animals from last third of gestation or
                                                      animal brought onto a producer’s dairy                  certifying agents will be establishing                 source animals already transitioned
                                                      farm(s) must be an animal under                         and implementing a procedure for                       under another producer’s one-time
                                                      continuous organic management from                      determining whether a producer is                      exception. As of the effective date,
                                                      the last third of gestation or a                        eligible for a one-time transition. AMS                producers who are new applicants for
                                                      transitioned animal sourced from a                      is seeking comments from certifying                    organic certification (i.e., startup organic
                                                      certified organic dairy farm. This                      agents on how these responsibilities are               dairies or nonorganic dairies
                                                      provision would ensure that, after a                    best implemented given the proposed                    transitioning to organic production)
                                                      producer completes one transition on a                  action.                                                would be allowed to use the transition
                                                      dairy farm, that producer would not be                     In addition, organic livestock                      exception once when first applying for
                                                      allowed to themselves transition                        producers are already required to                      organic certification.
                                                      additional dairy animals into organic                   maintain records that fully disclose all                  Under the current regulations at
                                                      production on any dairy farm. This                      activities and transactions of the                     section 205.672, organic dairy animals
                                                      requirement supports the NOSB’s intent                  certified operation in sufficient detail as            can return to organic milk production if
                                                      that transition should be a one-time                    to be readily understood and audited (7                a Federal or state emergency pest or
                                                      event for producers to transition to                    CFR 205.103(b)(2)). Under existing                     disease treatment program requires use
                                                      organic dairy and is intended to create                 regulation, section 205.236(c), organic                of a prohibited substance. This
                                                      one standard that would be equally                      producers must already maintain                        allowance for re-transition is
                                                      applied to all dairy operations once they               records sufficient to preserve the                     independent of the transition exception
                                                      have transitioned to certified organic                  identity of all organically managed                    being proposed here. A dairy farm, that
                                                      production.                                             animals. Examples of records to verify                 had not used its one-time exception to
                                                                                                              compliance with the origin of livestock                transition based on section 205.236,
                                                      Implementation Considerations                           requirements include livestock purchase                would retain that one-time exception to
                                                        Certifying agents would have certain                  records, organic certificates for livestock            transition even if the farm used the
                                                      responsibilities under this proposed                    purchased as organic, animal                           section 205.672 allowance to re-
                                                      rule. Certifying agents would need to:                  reproduction: breeding, birth and/or                   transition after an emergency pest or
                                                        • Establish and maintain procedures                   hatch records, and herd conversion/                    disease treatment.
                                                      for determining whether or not a                        organic management records.29 Under                       Under the current regulations at
                                                      producer (e.g. a new applicant for                      this proposed rule, organic dairy                      section 205.290, organic producers,
                                                      certification) is eligible to transition                producers would need to maintain the                   through their certifying agent, can
                                                      dairy animals into organic production                   same records. There are no new records                 request a temporary variance from the
                                                      and for determining whether offspring                   that would be required under this                      livestock practice standards for reasons
                                                      that are part of a transition are eligible              proposal. In accordance with Office of                 such as natural disasters, severe weather
                                                      to produce organic milk, meat or fiber;                 Management and Budget (OMB)                            and other business interruptions. The
                                                        • Ensure that certified organic dairy                 regulations (5 CFR part 1320) that                     NOP Instruction on Processing Requests
                                                      producers maintain sufficient records (7                implement the Paperwork Reduction                      for Temporary Variances (NOP 2606) 30
                                                      CFR 205.103) to identify all organically                Act (44 U.S.C. 3501–3520) (PRA), the                   clarifies the policy that variances will
                                                      managed animals, including whether                      information collection requirements                    not be granted for feeding non-organic
                                                      they are transitioned animals and, thus,                associated with the NOP, including the                 feed to livestock.
                                                      not eligible for certification as organic               recordkeeping and reporting
                                                      slaughter stock (7 CFR 205.236(b)(2) and                requirements related to origin of                      B. Breeder Stock
                                                      205.236(c));                                            livestock, have been previously                          Under this proposal, AMS would
                                                        • Hire and/or train sufficient,                       approved by OMB and assigned OMB                       restructure section 205.236(a)(3) to
                                                      qualified staff (7 CFR 205.501(a)(4)) to                control number 0581–0191.                              reiterate that breeder stock may be
                                                      examine production and certification                       AMS also recognizes that some                       brought from a nonorganic operation
                                                      history of certified organic dairy                      producers and certifying agents will                   onto an organic operation at any time
                                                      producers or applicants for certification               need time to implement any regulatory                  and to further clarify how breeder stock
                                                      which involve the transition of dairy                   changes. Over the last several years, the              should be managed for the purpose of
                                                      animals from conventional to organic                    NOSB and stakeholders have been                        producing organic offspring.
                                                      production; and                                         engaged in extensive discussion about                    Consistent with an April 2003 NOSB
                                                        • Maintain records of applications for                how organic dairies would need to                      recommendation on breeder stock, AMS
                                                      certification or certified operations,                  change their practices as a result of any
asabaliauskas on DSK5VPTVN1PROD with PROPOSALS




                                                                                                                                                                     considered amending the regulations at
                                                      including records pertaining to the                     modification to the current USDA                       existing section 205.236(a)(3) to require
                                                      origin of all livestock, for at least 10                organic regulations. AMS is considering                that breeder stock that was brought onto
                                                      years from the date of their creation,                  and seeking public comment on the                      an organic farm, but subsequently was
                                                      pursuant to section 205.510(b)(2).                      following implementation proposal:                     removed from organic management, be
                                                        Certifying agents already address
                                                                                                                                                                     prohibited from returning as breeder
                                                      many of these responsibilities through                    29 National Organic Program. March 2011.

                                                      the current regulations. For example,                   Organic Livestock Plan Template, Origin of
                                                                                                              Livestock: L2-page 1. Available online at: http://       30 NOP 2606. July 22, 2011. Available online at:
                                                      certifying agents should have                           www.ams.usda.gov/AMSv1.0/                              http://www.ams.usda.gov/AMSv1.0/
                                                      procedures in place to ensure that                      getfile?dDocName=STELPRDC5091032.                      getfile?dDocName=STELPRDC5087115.



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                                                      23464                             Federal Register / Vol. 80, No. 81 / Tuesday, April 28, 2015 / Proposed Rules

                                                      stock for the purpose of organic                                          chooses. If a producer is managing                                   the addition of ‘‘non-edible’’ to this
                                                      production. The NOSB recommendation                                       nonorganic breeder stock on its organic                              provision to specify that non-edible
                                                      suggests that allowing breeder stock to                                   operation, the current regulations                                   animal products, such as animal fiber,
                                                      return to organic management after a                                      already require that they implement                                  are also subject to this provision.
                                                      period of nonorganic management does                                      practices to prevent contact of organic                              Section 205.236(b)(2) is proposed to be
                                                      not align with a regulatory provision                                     animals with prohibited substances                                   amended to specify that transitioned
                                                      that prohibits livestock removed from                                     (e.g., from certain fly tags that might be                           animals must not be sold, labeled, or
                                                      an organic operation and subsequently                                     used with nonorganic breeder stock) (7                               represented as organic slaughter stock.
                                                      managed on a nonorganic operation to                                      CFR 205.201(a)(5)).                                                  This change is needed for consistency
                                                      be sold, labeled, or represented as                                          AMS is proposing a provision related                              with the proposed definition for
                                                      organically produced (7 CFR                                               to organic management of breeder stock                               transitioned animal and the proposed
                                                      205.236(b)).31                                                            only when the breeder stock is directly                              provisions for dairy transition.
                                                        However, OFPA states that breeder                                       contributing to the nourishment of                                      We are also proposing a change to
                                                      stock may be purchased from any source                                    organic offspring, from the last third of                            section 205.236(c) to reiterate that
                                                      (7 U.S.C. 6509(b)); there is no                                           gestation through the end of the nursing                             producers are responsible for
                                                      requirement in OFPA that the source be                                    period. Under proposed section                                       maintaining records that show whether
                                                      organic. Further, while the current                                       205.236(a)(3)(ii), such breeder stock
                                                                                                                                                                                                     a dairy animal is a transitioned animal
                                                      regulations at section 205.236(b)(1)                                      would need to be managed organically
                                                                                                                                                                                                     and, therefore, not eligible for
                                                      prohibit livestock from being removed                                     throughout the last third of gestation
                                                                                                                                                                                                     certification as organic slaughter stock
                                                      and subsequently managed on a                                             and the lactation period during which
                                                                                                                                                                                                     or for the purpose of organic fiber.
                                                                                                                                time they may nurse their own
                                                      nonorganic operation (i.e., cycling in                                                                                                         Producers should already be tracking
                                                                                                                                offspring. Allowing organic calves to
                                                      and out of organic production), this                                                                                                           whether an animal is eligible for organic
                                                                                                                                nurse on nonorganic breeder stock as
                                                      provision does not extend to nonorganic                                                                                                        slaughter or fiber given the last third of
                                                                                                                                long as they are all under organic
                                                      breeder stock that are themselves not                                                                                                          gestation requirement. Table 2 provides
                                                                                                                                management supports the natural
                                                      certified organic or eligible for                                                                                                              an overview of all the proposed
                                                                                                                                behavior of the animals (7 CFR
                                                      slaughter, sale, and labeling as organic                                                                                                       amendments.
                                                                                                                                205.239(a)). Breeder stock may not be
                                                      (7 CFR 205.236(b)(2)). Therefore, AMS
                                                                                                                                used as nurse cows on dairy farms to be                              D. Other Amendments Considered
                                                      does not believe that restrictions on how
                                                                                                                                a source of milk for other organic calves,
                                                      nonorganic breeder stock are managed                                                                                                             AMS recently received requests from
                                                                                                                                though inadvertent suckling by non-
                                                      outside of the last third of gestation                                    offspring would not cause loss of                                    stakeholders to consider providing an
                                                      through weaning of organic offspring are                                  organic status to the calves.                                        exception to transition fiber producing
                                                      warranted.                                                                                                                                     animals to organic fiber production, just
                                                        At proposed sections 205.236(a)(3)                                      C. Additional Clarifications                                         as dairy animals can be transitioned to
                                                      and 205.236(a)(3)(i), AMS is reiterating                                    In conjunction with the proposed                                   organic milk production. OFPA
                                                      that breeder stock may be brought from                                    amendments discussed above, AMS is                                   authorizes a transition for dairy animals
                                                      a nonorganic operation onto an organic                                    proposing additional amendments to                                   entering organic milk production. As
                                                      operation at any time as long as such                                     provide greater clarity on the                                       such, AMS is not proposing a transition
                                                      breeder stock are on the organic                                          restrictions at sections 205.236(b)(1) and                           for fiber under this proposed rule. In
                                                      operation no later than the last third of                                 205.236(b)(2). Section 205.236(b)(1)                                 practical terms, this means that
                                                      gestation. In practical terms, this means                                 states that livestock or edible livestock                            producers can transition sheep from
                                                      that between the end of nursing its                                       products that are removed from an                                    conventional milk production to organic
                                                      organic offspring and the beginning of                                    organic operation and subsequently                                   milk production, but would need to
                                                      the last third of gestation for the next                                  managed on a nonorganic operation may                                source animals organically managed
                                                      organic offspring, nonorganic breeder                                     not be sold, labeled, or represented as                              since the last third of gestation in order
                                                      stock may be managed as the producer                                      organically produced. We are proposing                               to produce organic wool.

                                                                                                                      TABLE 2—PROPOSED ACTION—ORIGIN OF LIVESTOCK
                                                                           Section title                                            Current wording                                    Type of action                        Proposed action

                                                      205.2 .......................................................    N/A ................................................   New terms added ................       Dairy Farm, Organic Manage-
                                                                                                                                                                                                                       ment, Third-Year Transitional
                                                                                                                                                                                                                       Crop,      Transitional Crop,
                                                                                                                                                                                                                       Transitioned animal.
                                                      205.236(a) ..............................................        Livestock products that are to be                      No Change ..........................   N/A—Included for Completeness.
                                                                                                                         sold, labeled, or represented as
                                                                                                                         organic must be from livestock
                                                                                                                         under continuous organic man-
                                                                                                                         agement from the last third of
                                                                                                                         gestation or hatching: Except,
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                                                                                                                         That:
                                                      205.236(a)(1) ..........................................         Poultry. Poultry or edible poultry                     No Change ..........................   N/A—Included for Completeness.
                                                                                                                         products must be from poultry
                                                                                                                         that has been under continuous
                                                                                                                         organic management beginning
                                                                                                                         no later than the second day of
                                                                                                                         life;

                                                        31 National Organic Standards Board                                     Clarification of Rule. Available online at: http://                  www.ams.usda.gov/AMSv1.0/
                                                      Recommendation May 2003 on Breeder Stock:                                                                                                      getfile?dDocName=STELDEV3104547.



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                                                                                     Federal Register / Vol. 80, No. 81 / Tuesday, April 28, 2015 / Proposed Rules                                                                              23465

                                                                                                   TABLE 2—PROPOSED ACTION—ORIGIN OF LIVESTOCK—Continued
                                                                         Section title                                        Current wording                                     Type of action                             Proposed action

                                                      205.236(a)(2) ..........................................   Dairy animals. Milk or milk prod-                      Revision ...............................   Dairy animals. A producer as de-
                                                                                                                   ucts must be from animals that                                                                    fined in § 205.2 may transition
                                                                                                                   have been under continuous or-                                                                    dairy animals into organic pro-
                                                                                                                   ganic management beginning                                                                        duction only once. A producer is
                                                                                                                   no later than 1 year prior to the                                                                 eligible for this transition only if
                                                                                                                   production of the milk or milk                                                                    the producer starts a new or-
                                                                                                                   products that are to be sold, la-                                                                 ganic dairy farm or converts an
                                                                                                                   beled, or represented as or-                                                                      existing nonorganic dairy farm
                                                                                                                   ganic, Except,                                                                                    to organic production. A pro-
                                                                                                                                                                                                                     ducer must not transition any
                                                                                                                                                                                                                     new animals into organic pro-
                                                                                                                                                                                                                     duction after completion of this
                                                                                                                                                                                                                     one-time transition. This transi-
                                                                                                                                                                                                                     tion must occur over a contin-
                                                                                                                                                                                                                     uous 12-month period prior to
                                                                                                                                                                                                                     production of milk or milk prod-
                                                                                                                                                                                                                     ucts that are to be sold, labeled,
                                                                                                                                                                                                                     or represented as organic, and
                                                                                                                                                                                                                     meet the following conditions:
                                                      205.236(a)(2)(i) .......................................   That, crops and forage from land,                      Revision ...............................   During the 12-month period, dairy
                                                                                                                   included in the organic system                                                                    animals must be under contin-
                                                                                                                   plan of a dairy farm, that is in                                                                  uous organic management;
                                                                                                                   the third year of organic man-
                                                                                                                   agement may be consumed by
                                                                                                                   the dairy animals of the farm
                                                                                                                   during the 12-month period im-
                                                                                                                   mediately prior to the sale of or-
                                                                                                                   ganic milk and milk products;
                                                                                                                   and
                                                      205.236(a)(2)(ii) ......................................   That, when an entire, distinct herd                    Revision ...............................   During the 12-month period, the
                                                                                                                   is converted to organic produc-                                                                   producer should describe the
                                                                                                                   tion, the producer may, pro-                                                                      transition as part of its organic
                                                                                                                   vided no milk produced under                                                                      system plan and submit this as
                                                                                                                   this subparagraph enters the                                                                      part of an application for certifi-
                                                                                                                   stream of commerce labeled as                                                                     cation to a certifying agent, as
                                                                                                                   organic after June 9, 2007: (a)                                                                   required in § 205.401;
                                                                                                                   For the first 9 months of the
                                                                                                                   year, provide a minimum of 80-
                                                                                                                   percent feed that is either or-
                                                                                                                   ganic or raised from the land in-
                                                                                                                   cluded in the organic system
                                                                                                                   plan and managed in compli-
                                                                                                                   ance with organic crop require-
                                                                                                                   ments; and (b) Provide feed in
                                                                                                                   compliance with § 205.237 for
                                                                                                                   the final 3 months.
                                                      205.236(a)(2)(iii) .....................................   Once an entire, distinct herd has                      Revision ...............................   During the 12-month period, dairy
                                                                                                                   been converted to organic pro-                                                                    animals and their offspring may
                                                                                                                   duction, all dairy animals shall                                                                  consume third year transitional
                                                                                                                   be under organic management                                                                       crops;
                                                                                                                   from the last third of gestation.
                                                      205.236(a)(2)(iv) .....................................    N/A ................................................   New section added ..............           Offspring born during or after the
                                                                                                                                                                                                                      12-month          period         are
                                                                                                                                                                                                                      transitioned animals if they con-
                                                                                                                                                                                                                      sume      third-year    transitional
                                                                                                                                                                                                                      crops during the transition or if
                                                                                                                                                                                                                      the mother consumes third year
                                                                                                                                                                                                                      transitional crops during the off-
                                                                                                                                                                                                                      spring’s last third of gestation;
                                                      205.236(a)(2)(v) ......................................    N/A ................................................   New section added ..............           Offspring born from transitioning
                                                                                                                                                                                                                      dairy animals are organic if they
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                                                                                                                                                                                                                      are under continuous organic
                                                                                                                                                                                                                      management and if only cer-
                                                                                                                                                                                                                      tified organic crops and forages
                                                                                                                                                                                                                      are used from their last third of
                                                                                                                                                                                                                      gestation;
                                                      205.236(a)(2)(vi) .....................................    N/A ................................................   New section added ..............           All dairy animals must end the
                                                                                                                                                                                                                      transition at the same time;




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                                                      23466                          Federal Register / Vol. 80, No. 81 / Tuesday, April 28, 2015 / Proposed Rules

                                                                                                    TABLE 2—PROPOSED ACTION—ORIGIN OF LIVESTOCK—Continued
                                                                          Section title                                        Current wording                                     Type of action                            Proposed action

                                                      205.236(a)(2)(vii) ....................................     N/A ................................................   New section added ..............           Dairy animals that complete the
                                                                                                                                                                                                                      transition are transitioned ani-
                                                                                                                                                                                                                      mals and must not be used for
                                                                                                                                                                                                                      organic livestock products other
                                                                                                                                                                                                                      than organic milk;
                                                      205.236(a)(2)(viii) ...................................     N/A ................................................   New section added ..............           After the 12-month period ends,
                                                                                                                                                                                                                      transitioned     animals    may
                                                                                                                                                                                                                      produce organic milk on any or-
                                                                                                                                                                                                                      ganic dairy farm as long as the
                                                                                                                                                                                                                      animal is under continuous or-
                                                                                                                                                                                                                      ganic management at all times
                                                                                                                                                                                                                      on a certified organic operation;
                                                                                                                                                                                                                      and
                                                      205.236(a)(2)(ix) .....................................     N/A ................................................   New section added ..............           After the 12-month period ends,
                                                                                                                                                                                                                      any new dairy animal brought
                                                                                                                                                                                                                      onto a producer’s dairy farm(s)
                                                                                                                                                                                                                      for organic milk production must
                                                                                                                                                                                                                      be an animal under continuous
                                                                                                                                                                                                                      organic management from the
                                                                                                                                                                                                                      last third of gestation or a
                                                                                                                                                                                                                      transitioned animal sourced
                                                                                                                                                                                                                      from another certified organic
                                                                                                                                                                                                                      dairy farm.
                                                      205.236(a)(3) ..........................................    Breeder stock. Livestock used as                       Revision ...............................   Breeder stock. Livestock used as
                                                                                                                    breeder stock may be brought                                                                      breeder stock may be brought
                                                                                                                    from a nonorganic operations                                                                      from a nonorganic operation
                                                                                                                    onto an organic operation at                                                                      onto an organic operation at
                                                                                                                    any time: Provided, that, if such                                                                 any time, Provided, That the fol-
                                                                                                                    livestock are gestating and the                                                                   lowing conditions are met:
                                                                                                                    offspring are to be raised as or-
                                                                                                                    ganic livestock, the breeder
                                                                                                                    stock must be brought onto the
                                                                                                                    facility no later than the last
                                                                                                                    third of gestation.
                                                      205.236(a)(3)(i) .......................................    N/A ................................................   New section added ..............           Such breeder stock must be
                                                                                                                                                                                                                      brought onto the operation no
                                                                                                                                                                                                                      later than the last third of gesta-
                                                                                                                                                                                                                      tion if its offspring are to be
                                                                                                                                                                                                                      raised as organic livestock; and
                                                      205.236(a)(3)(ii) ......................................    N/A ................................................   New section added ..............           Such breeder stock must be man-
                                                                                                                                                                                                                      aged organically throughout the
                                                                                                                                                                                                                      last third of gestation and the
                                                                                                                                                                                                                      lactation period during which
                                                                                                                                                                                                                      time they may nurse their own
                                                                                                                                                                                                                      offspring.
                                                      205.236(b) ..............................................   The following are prohibited:                          No Change ..........................       N/A—Included for Completeness.
                                                      205.236(b)(1) ..........................................    Livestock or edible livestock prod-                    Revision ...............................   Livestock, edible livestock prod-
                                                                                                                    ucts that are removed from an                                                                     ucts, or nonedible livestock
                                                                                                                    organic operation and subse-                                                                      products such as animal fiber
                                                                                                                    quently managed on a non-                                                                         that are removed from an or-
                                                                                                                    organic operation may not be                                                                      ganic operation and subse-
                                                                                                                    sold, labeled or represented as                                                                   quently managed on a non-
                                                                                                                    organically produced.                                                                             organic operation may not be
                                                                                                                                                                                                                      sold, labeled, or represented as
                                                                                                                                                                                                                      organically produced.
                                                      205.236(b)(2) ..........................................    Breeder or dairy stock that has                        Revision ...............................   Breeder stock, dairy stock, or
                                                                                                                    not been under continuous or-                                                                     transitioned animals that have
                                                                                                                    ganic management since the                                                                        not been under continuous or-
                                                                                                                    last third of gestation may not                                                                   ganic management since the
                                                                                                                    be sold, labeled, or represented                                                                  last third of gestation may not
                                                                                                                    as organic slaughter stock.                                                                       be sold, labeled, or represented
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                                                                                                                                                                                                                      as organic slaughter stock.
                                                      205.236(c) ..............................................   The producer of an organic live-                       Revision ...............................   The producer of an organic live-
                                                                                                                    stock operation must maintain                                                                     stock operation must maintain
                                                                                                                    records sufficient to preserve                                                                    records sufficient to preserve
                                                                                                                    the identity of all organically                                                                   the identity of all organically
                                                                                                                    managed animals and edible                                                                        managed animals, including
                                                                                                                    and nonedible animal products                                                                     whether they are transitioned
                                                                                                                    produced on the operation.                                                                        animals, and edible and non-
                                                                                                                                                                                                                      edible animal products pro-
                                                                                                                                                                                                                      duced on the operation.



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                                                                               Federal Register / Vol. 80, No. 81 / Tuesday, April 28, 2015 / Proposed Rules                                                    23467

                                                      IV. Related Documents                                   has been reviewed by the Office of                     stakeholders. Setting an enforceable
                                                                                                              Management and Budget (OMB).                           practice standard would ensure
                                                        Documents related to this proposed                                                                           consistency across the industry. Because
                                                      rule include the Organic Foods                          Need for the Rule
                                                                                                                                                                     organic products cannot be
                                                      Production Act of 1990, as amended, (7                     This action is necessary to create                  distinguished from nonorganic products
                                                      U.S.C. 6501–6522) and its implementing                  greater consistency in the                             based on sight inspection, consumers
                                                      regulations (7 CFR part 205). The NOSB                  implementation of a standard for the                   rely on process verification methods
                                                      deliberated and made the                                transition of dairy animals into organic               such as certification to a uniform
                                                      recommendations described in this                       production and for the management of                   standard to ensure that organic claims
                                                      proposal at public meetings announced                   breeder stock. AMS has determined that                 are true. For this reason, organic
                                                      in the following Federal Register                       the current regulations regarding the                  products have been described as
                                                      Notices: (1) 67 FR 19375, (May 7, 2002);                transition of dairy animals and the                    ‘‘credence goods’’ in the economics
                                                      (2) 67 FR 54784, (September 17, 2002);                  management of breeder stock on organic                 literature.34 35 Credence goods have
                                                      (3) 67 FR 62949, (October 19, 2002); and                operations need additional specificity                 properties that are difficult to verify,
                                                      (4) 68 FR 23277, (May 13, 2003). AMS                    and clarity to improve AMS’ ability to
                                                                                                                                                                     both before and after purchase. Organic
                                                      also considered NOSB                                    efficiently administer the NOP. A stated
                                                                                                                                                                     dairy products are an example of a
                                                      recommendations from June 2, 1994,                      purpose of the OFPA is to assure
                                                                                                                                                                     ‘‘credence good’’ for which consistent
                                                      and March 20, 1998, in the development                  consumers that organically produced
                                                                                                                                                                     implementation of a common
                                                      of this proposed rule. NOSB meetings                    products meet a consistent and uniform
                                                                                                                                                                     production standard across the sector
                                                      are open to the public and allow for                    standard (7 U.S.C. 6501). This action is
                                                                                                              being taken to facilitate and improve                  supports continued consumer
                                                      public participation.
                                                                                                              compliance and enforcement and to                      confidence. This action would help
                                                        AMS published a series of proposed                                                                           maintain consumer trust in the organic
                                                      rules that addressed, in part, the origin               satisfy consumer expectations that
                                                                                                              organic livestock meet a consistent and                seal. ‘‘Customers’’ includes both
                                                      of livestock provisions at: (1) 62 FR                                                                          consumers purchasing organic milk,
                                                      65850, (December 16, 1997); (2) 65 FR                   uniform standard, regardless of how a
                                                                                                              producer transitioned into organic                     yogurt, butter, ice-cream, and cheese at
                                                      13512, (March 13, 2000); and (3) 71 FR                                                                         retail markets and organic livestock
                                                      24820, (April 27, 2006). Past final rules               production.
                                                                                                                 In a 2006 final rule related to this                producers purchasing organic dairy
                                                      relevant to this topic were published at:                                                                      animals for their own operations.
                                                      (1) 65 FR 80548, (December 21, 2000);                   issue, AMS acknowledged that the
                                                      and 71 FR 32803, (June 7, 2006).                        regulations provide different allowances                  While a dairy transition is permitted
                                                                                                              for replacing organic dairy animals                    by the OFPA, this proposed rule would
                                                      V. Statutory and Regulatory Authority                   dependent on how a producer                            limit dairy animal transition. As
                                                                                                              transitioned to organic production.32                  discussed, AMS received extensive
                                                         The Organic Foods Production Act of                  AMS further stated that, given the                     comments in 2006 on the issue of dairy
                                                      1990, as amended, authorizes AMS to                     almost 13,000 comments on the 2006                     transition. Commenters stated that
                                                      administer the NOP (7 U.S.C. 6501–                      proposed rule, the issue remained a                    consumers expect that organic milk is
                                                      6502). Under the NOP, AMS oversees                      significant concern of the organic                     produced without the use of excluded
                                                      national standards for the production                   community, including organic dairy                     methods and substances prohibited
                                                      and handling of organically produced                    producers, certifying agents, trade                    under the regulations such as hormones,
                                                      agricultural products. One of the                       organizations, and consumers. AMS                      antibiotics, and certain pesticides.
                                                      purposes of OFPA is to assure                           developed this proposal in response to                 Market research suggests that these
                                                      consumers that organically produced                     this stakeholder feedback.                             comments are indicative of a customer
                                                      products meet a consistent standard (7                     Further, as cited in the July 2013 OIG              base who expects ‘‘organic’’ to be
                                                      U.S.C. 6501(2)). Section 6509 of the                    audit of organic milk operations,33                    produced without the use of such
                                                      OFPA also requires that livestock to be                 implementation of the origin of                        substances. In 2013, a report assessing
                                                      slaughtered, sold or labeled as organic                 livestock requirements continues to                    trends in the organic market stated that
                                                      be managed in accordance with the Act,                  differ across producers and certifying                 consumers identified ‘‘absence of
                                                      allows for the use of breeder stock, and                agents. As part of this audit, some                    pesticides’’, ‘‘absence of growth
                                                      provides for an exception to transition                 certifying agents conveyed that the                    hormones’’, and ‘‘absence of antibiotics’’
                                                      dairy stock to organic milk production.                 current regulations create challenges in               as properties they associate with the
                                                      A. Executive Orders 12866 and 13563                     implementation such that some organic                  term ‘‘organic’’ in 64%, 59%, and 55%
                                                                                                              dairy producers may have a competitive                 of the responses respectively.36 Over
                                                         Executive Orders 12866 and 13563                     advantage over others. Similarly,
                                                      direct agencies to assess all costs and                 certifying agents and organic operations                  34 Caswell, Julie A. and Eliza M. Mojduszka. 1996.
                                                      benefits of available regulatory                        have recommended more detail in the                    ‘‘Using Informational Labeling to Influence the
                                                      alternatives, and, if regulation is                     regulations on the management of                       Market for Quality in Food Products.’’ American
                                                      necessary, to select regulatory                         breeder stock to support                               Journal of Agricultural Economics. Vol. 78, No. 5:
                                                                                                              implementation across the organic                      1248–1253.
                                                      approaches that maximize net benefits                                                                             35 Zorn, Alexander, Christian Lippert, and
                                                      (including potential economic,                          sector.                                                Stephan Dabbert. 2009. ‘‘Economic Concepts of
                                                      environmental, public health and safety                    This action is also necessary to
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                                                                                                                                                                     Organic Certification.’’ Deliverable 5 for Project
                                                      effects, distributive impacts, and                      address the persistent requests to AMS                 CERTCOST: Economic Analysis of Certification
                                                      equity). Executive Order 13563                          for further developed origin of livestock              Systems in Organic Food and Farming. http://
                                                                                                              standards that meet the expectations of                www.certcost.org/Lib/CERTCOST/Deliverable/D11_
                                                      emphasizes the importance of                                                                                   D5.pdf.
                                                      quantifying both costs and benefits, of                 the NOSB and the majority of                              36 The Hartman Group, Inc., The Organic and

                                                      reducing costs, of harmonizing rules,                                                                          Natural Consumer 2013: Traits and Trends. The
                                                                                                                32 71 FR 32804.
                                                      and of promoting flexibility. This rule                                                                        Cultural Context Around Behavior. Of 1,569
                                                                                                                33 The July 2013 Office of Inspector General (OIG)   respondents responding in 2012 to the question,
                                                      has been designated as a ‘‘significant                  audit report on organic milk operations may be         ‘‘From the following list, what properties do you
                                                      regulatory action’’ under section 3(f) of               accessed at the following Web site: http://            think are implied or suggested by the term
                                                      Executive Order 12866, and, therefore,                  www.usda.gov/oig/webdocs/01601-0002-32.pdf.            ‘‘organic’’?



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                                                      23468                              Federal Register / Vol. 80, No. 81 / Tuesday, April 28, 2015 / Proposed Rules

                                                      thirty percent of those surveyed for this                                   each calendar year, every certifying                                    organic dairy operations. AMS worked
                                                      report indicated that avoidance of                                          agent is required to submit an annual                                   with ERS to analyze recent ARMS data
                                                      prohibited substances motivated them                                        list of their certified operations to the                               and develop an estimation of organic
                                                      to buy organic products.37 Based on past                                    NOP (7 CFR 205.501(a)(15)(ii)). The                                     dairy production practices and costs for
                                                      comments, stakeholders argue that                                           NOP consolidates this information once                                  this proposed rule. Finally, AMS used
                                                      sourcing or raising animals as organic                                      per year into a public, searchable                                      summary information from a 2013 ERS
                                                      from last third of gestation is better                                      database.38 Another source of data is the                               report on organic production.42 The ERS
                                                      aligned with the expectation that                                           Organic Trade Association’s (OTA) 2014                                  report was based on data from state and
                                                      animals producing organic milk have                                         Organic Industry Survey. The Nutrition                                  private certifying agents.
                                                      never received prohibited substances                                        Business Journal conducts this survey
                                                      such as antibiotics or growth hormones.                                     on behalf of OTA to summarize market                                    The Organic Dairy Market
                                                                                                                                  information and trends within the
                                                      Baseline                                                                    organic industry across food and non-                                      According to the 2013 Organic Trade
                                                         This baseline focuses on the current                                     food sectors.39 AMS also utilized                                       Association (OTA) Industry Survey,
                                                      market and production of heifers and                                        information from the National                                           U.S. organic food, fiber, and agricultural
                                                      cows as the predominant portion of the                                      Agricultural Statistics Service (NASS)                                  product sales were over $32 billion in
                                                      industry that would be affected and for                                     2011 Organic Production Survey.40 The                                   2013, up 11.4 percent from 2012.43
                                                      which data is available. The baseline                                       NASS data includes acreage, production                                  Organic dairy is the second largest
                                                      and subsequent calculations do not                                          and sales data for organic crops and                                    sector in organic retail sales (15.2%),
                                                      include quantitative estimates for dairy                                    livestock. USDA’s Economic Research                                     after fruits and vegetables (36%). Sales
                                                      production related to sheep or goats.                                       Service (ERS) also conducts the                                         of organic dairy products, including
                                                      AMS used multiple data sources to                                           Agricultural Resource Management                                        milk, cream, yogurt, cheese, butter,
                                                      describe the baseline and build                                             Survey (ARMS), which includes                                           cottage cheese, sour cream, and ice-
                                                      quantitative estimates for this proposed                                    questions about organic production                                      cream, reached almost $4.2 billion in
                                                      rule. The first source is the NOP list of                                   practices.41 In 2010, ERS conducted a                                   2012. Table 3 shows the organic dairy
                                                      all certified operations. In January of                                     supplemental ARMS that focused on                                       market characteristics by subcategory.

                                                                                                     TABLE 3—ORGANIC DAIRY MARKET—RETAIL SALES BY SUBCATEGORY
                                                                                                                                                                                                                                              Percentage of
                                                                                                                                                                                                                           2013 Growth
                                                                                                                    Subcategory                                                                           2013 Sales                          organic dairy
                                                                                                                                                                                                                             (percent)           sales a

                                                      Milk/Cream ...................................................................................................................................             2,813                7.3                62.7
                                                      Yogurt ..........................................................................................................................................          1,021               ¥0.2                22.8
                                                      Cheese .........................................................................................................................................             331               18.9                 7.4
                                                      Butter/Cottage Cheese/Sour Cream ............................................................................................                                261               17.9                 5.8
                                                      Ice-Cream ....................................................................................................................................                60               19.1                 1.3
                                                        a While Organic Trade Association’s 2014 Organic Industry Survey included eggs as a subcategory for its summary on organic dairy sales, we
                                                      have excluded the data on eggs from this table.


                                                        While the majority of organic dairy                                       sourcing inputs as the most difficult                                   Overview of Organic Dairy Production
                                                      products are marketed under regional or                                     aspect of organic milk production
                                                      national brands, sales of products under                                    versus only 24% of farms in the Upper                                      Current dairy production and
                                                      private label arrangements accounted                                        Midwest region and 19% of farms in the                                  husbandry practices provide important
                                                      for between 30–40% of the organic dairy                                     Northeast.45 This is likely correlated                                  context for the baseline and cost
                                                      market in 2013.44 Both OTA’s 2013 and                                       with size of operation since organic                                    analysis. This section describes
                                                      2014 Organic Industry Surveys cite                                          dairies in the West tend to be larger in                                nonorganic and organic heifer
                                                      drought and feed costs as the key                                           size and, therefore, have increased feed                                development and highlights how they
                                                      constraints on market growth. However,                                      demand. Certification and compliance                                    differ. Principles of management for
                                                      constraints to market growth vary                                           were cited as the most difficult aspect                                 other species would be similar, but the
                                                      regionally and across different size                                        of organic milk production for farms in                                 timing will be different. For example, a
                                                      operations. According to a 2009 ERS                                         the Upper Midwest and Northeast (51%                                    goat begins its first lactation at 1 year of
                                                      report that analyzed 2005 ARMS data,                                        and 32% respectively).                                                  age while a cow begins its first lactation
                                                      55% of farms in the West reported                                                                                                                   at 2 years of age.

                                                        37 Ibid. Of 1,036 respondents responding in 2012                          information for their estimates. Over 200 organic                       www.ers.usda.gov/data-products/organic-
                                                      to the question about the reasons why they continue                         firms responded to the survey. NBJ used secondary                       production.aspx.
                                                      to purchase organic products, 38% stated to avoid                           data from SPINS, Nielsen, and IRI to supplement                           43 OTA 2014 Organic Industry Survey.

                                                      products that rely on pesticides or other chemicals,                        the survey and build market statistics.                                   44 Organic Trade Association (OTA)/Nutrition
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                                                      34% stated to avoid genetically modified products,                             40 The NASS survey may be found at the                               Business Journal, 2013 Organic Industry Survey.
                                                      34% stated to avoid products that rely on growth                                                                                                    Private label arrangements allow businesses to offer
                                                                                                                                  following link: http://usda.mannlib.cornell.edu/
                                                      hormones, and 29% stated to avoid products that                                                                                                     or sell their products under another company’s
                                                                                                                                  MannUsda/
                                                      rely on antibiotics.                                                                                                                                brand name, often a store brand.
                                                        38 The most recent list of certified operations may
                                                                                                                                  viewDocumentInfo.do?documentID=1859.
                                                                                                                                                                                                            45 Economic Research Service. 2009.
                                                                                                                                     41 The ERS ARMS survey information may be
                                                      be found at the following link: http://                                                                                                             Characteristics, Costs, and Issues for Organic Dairy
                                                      apps.ams.usda.gov/nop/.                                                     found at the following link: http://                                    Farming (pg. 33). Report by William McBride and
                                                        39 Organic Trade Association (OTA)/Nutrition                              www.ers.usda.gov/data-products/arms-farm-                               Catherine Greene. Statistics based on 2005 ARMS
                                                      Business Journal, 2014 Organic Industry Survey.                             financial-and-crop-production-practices.aspx.                           data. Report available online at: http://
                                                                                                                                     42 The ERS 2013 Summary of Organic Production
                                                      Nutrition Business Journal conducted a survey                                                                                                       www.ers.usda.gov/publications/err-economic-
                                                      between Jan 27, 2014 and April 5, 2014 to obtain                            may be found at the following link: http://                             research-report/err82.aspx.



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                                                                               Federal Register / Vol. 80, No. 81 / Tuesday, April 28, 2015 / Proposed Rules                                                  23469

                                                         When a heifer calf is born on a dairy                example, organic producers may not use                 other dairies. This also excluded the
                                                      farm, the producer ensures that the calf                antibiotics to prevent disease. Instead,               percentage of animals which died. The
                                                      receives colostrum, either from a bottle                organic producers must prevent the                     percentage of cows culled did not vary
                                                      or nursing her dam. The heifer calf is                  animals from getting sick using other                  depending upon the size of the producer
                                                      then separated from the dam and placed                  management practices such as                           nor did it vary depending upon the
                                                      in group, pair, or single housing. Some                 vaccinations. However, if an animal                    region of the U.S. in which the dairy
                                                      larger dairy producers contract with                    does get sick, organic producers are                   was located. Most dairy cows were
                                                      heifer development farms to raise                       required to use medication to restore the              removed for udder problems or
                                                      replacement heifers. These heifer                       animal to health even if the animal loses              reproductive problems, followed by
                                                      development farms pick up the heifer                    organic status. Once the animal loses                  lameness or poor milking ability.
                                                      calves and raise them at another                        organic status, the animal could return                Overall, mortality rates were 7.8% for
                                                      location until they are within a month                  to organic milk production only as part                un-weaned heifers, 1.8% for weaned
                                                      or two of their first lactation. Heifer                 of a one-time transition with another                  heifers, and 5.7% for cows.
                                                      calves are raised on a diet of milk                     producer.
                                                      replacer or liquid milk with free choice                  Organic producers also may not use                      From this information, an average
                                                      roughages and grains. Once the calves                   hormonal methods to synchronize                        dairy farm would sell 23.6% of its
                                                      have learned how to eat grains and                      estrus. Nonorganic producers may use                   milking cattle and would lose 5.7% of
                                                      roughages, the calves are weaned from                   hormonal products to both initiate                     its milking cattle to death. This would
                                                      the milk.                                               estrus and synchronize estrus among the                require that the average dairy farm in
                                                         After weaning, the heifers are                       heifers to aid in conception. Certain                  the U.S. be able to raise or purchase
                                                      developed to grow at a moderate pace                    synchronization protocols allow for a                  females that represent about 30% of the
                                                      until they are ready to be bred. During                 timed breeding method that does not                    farm’s herd size just to maintain current
                                                      this time, the heifers may be raised on                 require observation of a standing heat to              size. Based on this average national
                                                      pasture, fed a complete ration or a                     identify estrus.                                       need for replacements, the overall U.S.
                                                      mixture of both. Once the heifers are                     Dairy farms and heifer development                   dairy herd (both nonorganic and
                                                      about 14 or 15 months of age, they are                  farms which produce transitioned dairy                 organic) would have excess replacement
                                                      bred, gestate for about 9 months, and                   animals are able to raise the heifer                   females available for development. At
                                                      calve around 2 years of age. Usually                    calves nonorganically until 12 months                  this rate, the organic milking herd
                                                      once the heifers are bred or ‘‘settled,’’               before organic milk production begins.                 should be able to be maintained by last
                                                      they will be fed a diet which allows                    The pre-weaning phase of life is the                   third gestation replacement females. In
                                                      them to slowly grow in terms of frame                   time in which heifer calf mortality is the             addition, the organic milking herd
                                                      size and body weight. As the heifer                     highest and the diet is the most                       should also provide a sufficient quantity
                                                      approaches her due date, she is termed                  expensive on a per calorie basis.                      of females if market conditions lead to
                                                      a ‘‘springer’’ or is described as                       Nonorganic practices to reduce                         an expansion of the number of organic
                                                      ‘‘freshening.’’ After she calves, she                   mortality and expense during this pre-                 dairy animals.
                                                      begins lactating, is moved to the milking               weaning phase include the use of milk
                                                      herd and called a ‘‘first calf heifer.’’                replacer and, at times, antibiotics. By                   Specific to organic production, the
                                                         Organic producers follow similar                     the time the dairy heifer reaches one                  U.S. had approximately 1,850 organic
                                                      timelines, but use some different                       year of age, most health threats are past              dairy farms that milked 200,000 cows in
                                                      practices. Organic producers must                       and the animal is consuming a less                     2011.47 Of these farms, 1,823 farms were
                                                      provide a feed ration comprised of                      expensive diet.                                        producing organic milk from dairy cows
                                                      certified organic agricultural feedstuffs.                AMS is not aware of any national                     and 19 farms were producing organic
                                                      At this point in time, AMS is not aware                 survey that compares the culling rate of               milk from goats. The number of certified
                                                      of any certified organic milk replacer                  organic dairy animals with nonorganic                  organic sheep, buffalo, and bison dairy
                                                      produced in the US. As a result,                        dairy animals. In 2007, the USDA                       operations for that period is not known.
                                                      organically raised dairy calves must be                 Animal and Plant Health Inspection                     This proposed action would apply to
                                                      fed organic milk. This makes the                        Service (APHIS) conducted the National                 any animals (e.g., heifers/cows, goats,
                                                      practice of sending young calves to                     Animal Health Monitoring System                        sheep) that produce milk for an organic
                                                      heifer development farms less feasible                  (NAHMS) survey for dairy animals; a                    operation. The baseline discussion and
                                                      for organic producers as these heifer                   follow-up is planned for 2014.46 In this               the following cost analysis focus on
                                                      development farms may not have access                   survey of dairy animals, the national                  heifers and cows as the predominant
                                                      to certified organic milk. In addition,                 rate of permanently removing a dairy                   portion of the industry affected by this
                                                      organic regulations require that all                    animal from a farm was 23.6 percent.                   proposed action and due to the limited
                                                      organically managed ruminants receive                   However, this included animals that                    data available on other types of dairy
                                                      30% of their dry matter intake from                     were sold as replacement females to                    animals.
                                                      pasture during the grazing season,                                                                                Based on the NASS survey, Table 4
                                                      though dairy calves under 6 months of                     46 USDA APHIS. NAHMS Dairy 2007 Part I:
                                                                                                                                                                     shows that the highest concentration of
                                                      age are excluded from this provision. By                Reference of Dairy Cattle Health and Management
                                                                                                              Practices in the United States, 2007. This survey      organic dairy farms is in the Northeast
                                                      the age of 6 months, dairy calves must                  included both nonorganic and organic dairy             and Upper Midwest.
                                                      be on pasture during the grazing season.
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                                                                                                              animals. Available online at: http://
                                                      Nonorganic calves do not have a pasture                 www.aphis.usda.gov/wps/portal/banner/
                                                                                                                                                                       47 USDA NASS. 2011. Census of Agriculture—
                                                                                                              help?1dmy&urile=wcm%3apath%3a%2Faphis_
                                                      requirement.                                            content_library%2Fsa_our_focus%2Fsa_animal_            Organic Production Survey. Available online at:
                                                         Organic producers must also follow                   health%2Fsa_monitoring_and_surveillance%2Fsa_          http://usda.mannlib.cornell.edu/MannUsda/
                                                      certain health care practices. For                      nahms%2Fct_nahms_dairy_studies#dairy2014.              viewDocumentInfo.do?documentID=1859.




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                                                      23470                             Federal Register / Vol. 80, No. 81 / Tuesday, April 28, 2015 / Proposed Rules

                                                                                          TABLE 4—TOP STATES WITH ORGANIC DAIRY FARMS COMPARED TO PRODUCTION
                                                                                                                                                                       Number of            Percent of                       Milk            Percent of
                                                                                                                                                                      organic dairy       U.S. of organic                 production          U.S. milk
                                                                                                                                                                         farms              dairy farms                    (pounds)          production

                                                      United States ...........................................................................................                   1,823   ........................        2,797,845,926   ........................
                                                      Wisconsin .................................................................................................                   397                    21.7             313,991,661                    11.2
                                                      Pennsylvania ............................................................................................                     236                    12.9             148,704,869                      5.3
                                                      New York .................................................................................................                    235                    12.9             218,597,110                      7.8
                                                      Vermont ...................................................................................................                   180                      9.9            149,649,913                      5.3
                                                      Texas .......................................................................................................                   8                      0.4            423,558,952                    15.1
                                                      California ..................................................................................................                  72                      3.9            469,148,296                    16.8



                                                         The four states with the largest                                        organic heifers and transitioning heifers                            opposed to transitioning new
                                                      number of certified organic dairy farms                                    entering organic production that is                                  nonorganic animals into organic
                                                      (Wisconsin, Pennsylvania, New York,                                        dependent on the producer’s current                                  production. Based on discussions with
                                                      and Vermont) account for 57 percent of                                     transition approach. Of the farms                                    the industry, AMS assumes that,
                                                      the total farms. However, those states                                     responding to the ARMS, 7.3 percent                                  qualitatively, the vast majority of
                                                      represent less than 30 percent of                                          reported purchasing dairy cows and 5.3                               replacement heifers purchased is
                                                      national organic milk production. By                                       percent reported buying replacement                                  managed organically from the last third
                                                      contrast, the West and Southwest                                           heifers. Farms that purchased milk cows                              of gestation and, therefore, would not
                                                      account for the highest milk production                                    purchased an average of 8 cows per farm                              need to change practices due to this
                                                      per farm. The two highest-producing                                        and those that purchased heifers bought                              proposed action. We seek comment on
                                                      states (California and Texas) represented                                  an average of 15 head.                                               this assumption and data on current
                                                      only 4.3 percent of total certified                                           Overall, in 2010, organic dairy farms                             industry practice to help refine our
                                                      organic dairy farms, while producing                                       added 58,500 cows and heifers to their                               estimates.
                                                      31.9 percent of the total organic milk                                     operations, with 95.7 percent of those
                                                                                                                                                                                                         As discussed in the BACKGROUND
                                                      nationally. According to 2010 ARMS                                         born on the operation. The remainder of
                                                      data, the mean size of an organic dairy                                                                                                         section, under the current baseline, we
                                                                                                                                 animals came from off farm sources and
                                                      farm nationally was 77 cows. In the                                                                                                             know that producers differ in their
                                                                                                                                 included milk cows, 1,100 head (1.8
                                                      Northeast and the Upper Midwest, the                                       percent), and heifers, 1,425 head (2.5                               transition strategies dependent on how
                                                      mean number of organic cows per farm                                       percent).                                                            the term ‘‘herd’’ in the regulations is
                                                      was 64. In the West, the mean number                                                                                                            interpreted and applied. The difference
                                                                                                                                    Most organic dairies (91 percent)
                                                      of organic cows per farm was 288. Both                                     reported selling cull cows. Some dairy                               in transition approach across producers
                                                      ARMS and NASS surveys demonstrate                                          farms also reported selling milk cows                                is, as previously discussed, due to both
                                                      similar distributions of both farms and                                    and replacement heifers. Of the farms                                a lack of definition for what a ‘‘herd’’ is
                                                      milk production. The 2010 ARMS data                                        responding to the ARMS, 17.0 percent                                 and different interpretations of when
                                                      also shows that organic dairies averaged                                   reported selling milk cows and 17.0                                  the transition of a herd into organic
                                                      about 13,900 pounds of milk annually                                       percent reported selling replacement                                 production should be considered
                                                      per cow, or a daily average of 46 pounds                                   heifers. Farms that sold milk cows sold                              completed. Within the existing industry,
                                                      of milk per cow (assuming a 300-day                                        an average of 14 cows per farm and                                   there are some organic producers who
                                                      lactation period).                                                         those that sold replacement heifers sold                             transitioned a single ‘‘herd’’ of animals
                                                         According to 2010 ARMS data, nearly                                     an average of 11 head. Overall, dairies                              into organic production, consider their
                                                      99 percent of the dairies responding to                                    sold 4,400 milk cows and 3,500                                       transition complete, and only source
                                                      the organic dairy survey reported using                                    replacement heifers. Farms could have                                animals that are managed organically
                                                      replacement heifers that were born on                                      sold these animals into the nonorganic                               from the last third of gestation. There
                                                      the farm, with 96.5 percent reporting                                      or organic market.                                                   are other organic producers who
                                                      that the heifers were both born and                                           Information on how many of                                        transitioned their operation to organic,
                                                      raised on their operation. For the only                                    replacement heifers bought were                                      but continue to expand their operation
                                                      3.5 percent of dairies that did not raise                                  transitioned heifers and how many were                               by bringing nonorganic animals into
                                                      their replacement heifers on their                                         managed organically from the last third                              organic production as additional
                                                      operation, they presumably hired heifer                                    of gestation is not available, and,                                  ‘‘herds’’. In some cases, these operations
                                                      development farms to raise the heifers                                     therefore, AMS is not able to quantify                               have multiple fields on a given location
                                                      prior to rejoining the herd. Of the farms                                  the baseline. Certifying agents do not                               or multiple locations under their
                                                      reporting using replacement heifers                                        maintain aggregated data on what                                     business and, therefore, consider the
                                                      born on the farm, the average number of                                    transition approach producers are                                    herd in a given field or location as
                                                      replacement heifers sourced by this                                        currently implementing. Therefore, we                                distinct for the purpose of their
                                                      method was 31 head per farm. These                                         do not have data on how many                                         transition approach. For producers
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                                                      heifers, born in 2010, would have been                                     producers are bringing heifers into                                  using this kind of multi-herd approach
                                                      added to the milking herd in 2012.                                         organic production as nonorganic                                     for their operation, the proposed action
                                                         Some dairy operations also bought                                       animals and transitioning them into                                  would require them to source organic
                                                      replacement heifers. It is unknown                                         organic versus sourcing and managing                                 animals or previously transitioned
                                                      whether these replacement heifers were                                     animals as organic from the last third of                            animals across all of their herds,
                                                      certified organic when purchased or                                        gestation. However, the two largest                                  regardless of location or multi-herd
                                                      were nonorganic animals then                                               producers of branded organic fluid milk                              management strategy. This will, in turn,
                                                      transitioned into organic production.                                      both require their supplying dairies to                              increase their costs as discussed in the
                                                      We would expect a mixture of certified                                     supply milk from organic cows, as                                    cost analysis that follows.


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                                                                               Federal Register / Vol. 80, No. 81 / Tuesday, April 28, 2015 / Proposed Rules                                          23471

                                                      Alternatives Considered                                 A) revising the standard to allow                      dairy farm has a one-time exception
                                                                                                              producers to transition dairy animals                  over a 12-month period to transition
                                                         As required by E.O. 12866, various                   into organic production over a 12-month                dairy animals into organic production.
                                                      alternatives were considered to achieve                 period on a continuous basis; and                      These options are shown in Table 5
                                                      the objectives of this rule. The                        (Option B) revising the standard to                    below.
                                                      alternatives considered include: (Option                clearly convey that a producer with a
                                                                                                               TABLE 5—ALTERNATIVES CONSIDERED
                                                                        Alternative                                                                         Description

                                                      Option A—Continuous Transition ..............       Revise standard to allow a producer to transition dairy animals into organic production over a 12-
                                                                                                            month period on a continuous basis.
                                                      Option B—Use ‘‘Dairy Farm’’ as Unit of              Revise standard to tie the one-time transition exception to a given dairy farm (premises) over a 12-
                                                       Regulation.                                          month period.
                                                      Option C—Proposed Rule .........................    Revise standard to tie the one-time transition exception to a given producer with a dairy farm over a
                                                                                                            12-month period.



                                                         As discussed, maintaining the status                 suggested this approach. Further, in                   the BACKGROUND section, this
                                                      quo (i.e., the baseline unit of regulation              assessing the baseline, this approach                  proposal was drafted to create greater
                                                      as a ‘‘herd’’) does not further our                     would increase the number of                           consistency in the implementation of
                                                      objective to provide additional guidance                nonorganic animals transitioned into                   the transition mechanism so that it is
                                                      to the organic dairy industry and,                      organic production. If the demand shifts               not used as a continual means of
                                                      therefore, was not considered as a viable               to nonorganic animals for transition into              producing organic milk without
                                                      alternative. Since 2006, vast stakeholder               organic production, this would reduce                  purchasing organic stock once a
                                                      comments have requested that AMS                        the current demand, and, thus, value of                producer has converted to organic
                                                      engage in rulemaking to support greater                 organic heifers. Further, because                      production. Furthermore, AMS could
                                                      consistency in the application of the                   consumers expect milk to be produced                   not identify how a producer and a
                                                      origin of livestock requirements across                 without the use of certain inputs that                 certifying agent could verify that a
                                                      certifying agents and operations. In                    can be used in nonorganic animals (e.g.,               transition had not already occurred on
                                                      addition to stakeholder comments, the                   antibiotics), this approach could have                 a given dairy farm. This would be
                                                      OIG identified this issue in its July 2013              unknown, but likely negative, impacts                  especially difficult as time went on and
                                                      audit of organic milk operations and                    on consumer confidence in the growing                  a dairy farm may have changed
                                                      recommended that AMS undertaking                        organic dairy sector.                                  ownership multiple times.
                                                      rulemaking.
                                                                                                              Option B                                               Option C
                                                      Option A                                                   The second alternative considered                      The third alternative considered, and
                                                         The first alternative considered                     (Option B) would amend the regulations                 selected for this proposed action, would
                                                      (Option A) would amend the regulations                  to specify that a dairy farm, as defined               provide a limited exception (i.e., a one-
                                                      to specify that a producer could                        by the regulation, could transition dairy              time opportunity for producers) to
                                                      transition dairy animals into organic                   animals into organic production one-                   transition dairy animals into organic
                                                      production over a 12-month period on                    time over a 12-month period. This                      production that aligns with both OFPA
                                                      a continuous basis. Under OFPA, a                       would mean that a transition could                     and the NOSB recommendations. While
                                                      dairy animal from which milk or milk                    occur only once on a given premises.                   the NOSB recommendations do not
                                                      products will be sold or labeled as                     Under this alternative, a producer could               provide the level of specificity needed
                                                      organically produced must be raised in                  transition dairy animals on multiple                   to implement this approach, the intent
                                                      accordance with OFPA for not less than                  dairy farms over time as long as animals               of the NOSB is to require that, once an
                                                      the 12-month period immediately prior                   had not been previously transitioned on                operation is certified organic, any new
                                                      to the sale of such milk and milk                       a given premises. For example, if dairy                animals added to that operation should
                                                      products (7 U.S.C. 6509(e)(2)(A)). AMS                  farm location X, Y, and Z had never had                be organically managed since last third
                                                      could allow transition of any dairy                     animals transitioned to organic on their               of gestation. This proposed rule would
                                                      animal into organic production, without                 respective premises, then producer A                   address the NOSB recommendation,
                                                      further limitation, as long as it is                    could conduct transition on each                       adding specificity to ensure successful
                                                      organically managed for a 12-month                      location (X, Y, and Z) once. If producer               implementation of a uniform and
                                                      period prior to the sale of organic milk                B then purchased these dairy farms from                consistent standard. AMS considered
                                                      or milk products. In effect, this would                 producer A, producer B could not                       many options for how to best
                                                      mean that a producer could                              complete a transition on these premises                operationalize a one-time exception to
                                                      continuously transition conventional                    because the location had already                       transition dairy animals into organic
                                                      dairy animals into organic production                   experienced a one-time transition to                   production. These options include
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                                                      on an ongoing basis, as opposed to                      organic.                                               linking the one-time exception to a
                                                      allowing a producer to transition                          We did not choose this alternative                  dairy farm, an operation, persons
                                                      animals into organic production once.                   because it would only meet the intent of               responsibly connected, and the current
                                                         While this alternative could achieve                 this regulatory action in a limited way.               unit of regulation, a herd. For the
                                                      the regulatory objective by setting a                   While it would reduce the number of                    reasons previously discussed in the
                                                      consistent and uniform standard across                  transitions over time, it would allow a                OVERVIEW OF PROPOSED
                                                      the organic dairy industry, numerous                    given producer, with a single organic                  AMENDMENTS section, AMS is
                                                      NOSB recommendations and                                certificate, to transition dairy animals               proposing to link the transition
                                                      stakeholder comments have not                           on multiple dairy farms. As discussed in               exception to a producer.


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                                                      23472                    Federal Register / Vol. 80, No. 81 / Tuesday, April 28, 2015 / Proposed Rules

                                                         Based on NOSB recommendations                        Using data by organic operation differs                demand.49 In addition, the ARMS shows
                                                      and almost 13,000 stakeholder                           from the proposed unit of regulation,                  that organic dairy farms retained 56,000
                                                      comments, this approach would retain                    which is by producer (i.e., a business                 replacement heifers while selling 32,000
                                                      the opportunity for new producers to                    entity). We do not have data explicitly                head as cull cattle, milk cows, or
                                                      transition into organic dairy production                available by producer. However, we                     replacement heifers, indicating that
                                                      and ensure that organic products meet                   believe that this analysis using data by               there are ample supplies of replacement
                                                      a consistent standard to support                        organic operation would be similar to                  heifers available. Therefore, the
                                                      consumer confidence. This approach                      any analysis by producer because, in                   additional demand for organic
                                                      would require a small number of dairy                   many cases, the operation and producer                 replacement heifers is not expected to
                                                      farms to change their current practices                 are functionally one in the same.                      lead to an increase in the price of
                                                      for sourcing dairy animals and, as a                    Further, while we do not have data on                  replacement heifers. However, to be
                                                      result, would impose some limited                       multi-herd producers, this analysis                    conservative in estimating the
                                                      costs. This approach is also the more                   assumes that costs will be equivalent on               additional costs of the proposed rule,
                                                      pragmatic to implement through the                      a per cow basis. We are seeking                        the analysis will assume that the
                                                      certification and verification process as               comment on these assumptions and any                   increased demand will increase the cost
                                                      compared to linking the one-time                        data relevant to sheep and goat dairy                  of an organic replacement heifer by 25
                                                      transition to a dairy farm (Option B). By               production.                                            percent, or $500.
                                                      linking the transition to a given
                                                                                                              Estimated Costs for Dairies                               Because the price of transitioned
                                                      producer (Option C), a producer (e.g., an
                                                                                                                The ARMS included the total amount                   heifers is not available, the analysis will
                                                      individual or a corporation) can attest to
                                                                                                              spent on replacement heifers, but the                  use the cost of conventional springers 50
                                                      a certifying agent as part of their
                                                                                                              survey did not distinguish between                     as a substitute. Since the cost of a
                                                      application for certification that they
                                                                                                              organic and transitioned heifers. For                  transitioned heifer is likely to be more
                                                      have not already completed a dairy
                                                                                                              purposes of this analysis, we will                     than the cost of a conventional heifer,
                                                      transition and certifying agents could
                                                      verify such attestations by checking past               assume that 25% to 50 percent of all                   using the conventional springer price
                                                      certification records associated with that              purchased heifers are transitioned                     will generally overstate the cost of
                                                      producer.                                               heifers, or between 360 and 720 head.                  compliance with the proposed rule and
                                                         The costs and benefits of this                       This is a broad estimate though we                     so provide an upper bound of costs
                                                      approach are discussed in more detail                   believe that the proportion is likely                  incurred.
                                                      below.                                                  smaller than 50% based on discussions                     AMS Livestock, Poultry, and Grain
                                                                                                              with organic dairy producers. The                      Market News reports on five dairy
                                                      Costs of Proposed Rule
                                                                                                              survey results indicated that the average              auction markets 51 in the U.S. Using the
                                                         The proposed rule has the potential to               replacement heifer cost approximately                  reports from the period May 6, 2013 to
                                                      increase production costs on dairy                      $898. The University of Minnesota Farm                 June 5, 2013, the average auction price
                                                      producers who currently purchase                        Financial Database (FINBIN) includes                   for Approved 52 springers was $1,200
                                                      transitioned dairy animals as                           the average replacement cost for organic               per head. The difference in cost between
                                                      replacements, assuming that                             heifers; between 2006 and 2012 the cost                organic heifers and conventional heifers
                                                      transitioned animals are currently being                per head ranged between $1,200 and                     is $800 per head. As discussed, we
                                                      sold at a discount to organic                           $1,900. Extension officials at the                     assume that the cost of transitioned
                                                      replacement animals. Organic dairy                      University of Vermont estimated that                   heifer is, at a minimum, equivalent to a
                                                      farmers who regularly purchase                          organic replacement heifers typically                  conventional heifer. With the assumed
                                                      transitioned dairy animals as                           cost between $1,600 and $2,000.48 Data                 $500 increase in cost of organic heifers,
                                                      replacements and organic operations in                  on the cost of transitioned heifers is not             the total difference will be $1,300. The
                                                      the process of expansion are likely to                  available. Using the upper end of these                difference in cost between a transitioned
                                                      face higher costs of production if this                 ranges ($2,000), the cost of purchasing                heifer and an organic heifer is
                                                      rule were finalized as proposed. The                    organic replacement heifers of all                     summarized in Table 6.
                                                      cost of implementing the proposed rule                  weights would be $7.6 million per year.
                                                      will fall primarily on organic dairies                  This is the total cost, not the additional                49 Conversations with Dr. Bob Parsons, Extension
                                                      that currently purchase transitioned                    cost of purchasing organic heifers                     Associate Professor at University of Vermont, June
                                                      heifers, although dairies currently                     instead of transitioned heifers, so the                4, 2013; Bradley J. Heins, Assistant Professor of
                                                      purchasing organic heifers would be                                                                            Organic Dairy Production at University of
                                                                                                              incremental costs will be considerably                 Minnesota, June 5, 2013; and A. Fay Benson, Small
                                                      expected to pay higher prices in the                    less. These costs only reflect dairy                   Dairy Support, Cornell University SCNY Regional
                                                      short-term due to increased competition                 cattle. Costs for purchasing dairy sheep               Team, June 6, 2013.
                                                      for these animals. Farms that sell their                and goats are not included in this
                                                                                                                                                                        50 A springer is a heifer that is 7–9 months

                                                      excess organic replacement heifers may                  analysis.
                                                                                                                                                                     pregnant and will begin producing milk within 2
                                                      see an increase in demand for their                                                                            months.
                                                                                                                AMS previously contacted several                        51 The markets are the Mammoth Cave Dairy
                                                      heifers while farms that exclusively                    state extension dairy experts who                      Auction, Smiths Grove, KY; Springfield Livestock
                                                      raise their own organic replacement                     explained that supplies of organic                     Marketing Center, Springfield, MO; Producers
                                                      heifers would not be affected by the                    replacement heifers and milk cows were                 Auction Yards, Norwood, MO; New Holland Sales
                                                      proposed rule.                                                                                                 Stables, New Holland, PA; and Toppenish Monthly
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                                                                                                              in excess supply creating a soft                       Dairy Replacement Sale, Toppenish, WA.
                                                         Overall, this cost analysis uses                                                                               52 Dairy cattle are classified into four categories:
                                                      existing data on the number of                             48 Conversation with Dr. Bob Parsons, Extension     Supreme, Approved, Medium, and Common. The
                                                      replacement animals purchased on                        Associate Professor at University of Vermont, June     most common category of springers sold is
                                                      organic operations to estimate costs.                   4, 2013.                                               Approved.




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                                                                                      Federal Register / Vol. 80, No. 81 / Tuesday, April 28, 2015 / Proposed Rules                                                                                       23473

                                                                              TABLE 6—DIFFERENCE IN COST BETWEEN A TRANSITIONED HEIFER AND AN ORGANIC HEIFER
                                                                                                                                                                                                 Low end of                  High end of              Value used
                                                                                                                                                                                                   range                        range

                                                      Cost of organic replacement heifer .............................................................................................                      $1,200                      $2,000             $2,000
                                                      Increased premium for organic heifer due to increased demand (assumed) .............................                                     ........................    ........................           500
                                                           Total cost of organic replacement heifer ..............................................................................             ........................    ........................         2,500

                                                      Cost of conventional heifer (used as lower bound for cost of transitioned heifer) .....................                                                 1,000                       1,435             1,200

                                                            Cost difference per heifer .....................................................................................................   ........................    ........................         1,300



                                                        According to the NASS 2011 Certified                                purchasing organic heifers instead of                                  replacement heifers does not increase
                                                      Organic Production Survey, the U.S.                                   transitioned heifers at a maximum of                                   due to current market conditions, the
                                                      had approximately 1,850 organic dairy                                 $935,000 per year with the assumption                                  estimate of the total increase in cost is
                                                      farms that milked 200,000 cows. Based                                 that 50% of replacement animals                                        significantly less at $576,000 for the
                                                      on the NASS survey results for the total                              purchased are transitioned dairy                                       50% assumption and $288,000 for the
                                                      number of organic dairy operations and                                animals and $468,000 per year with the                                 25% assumption. The additional cost of
                                                      ARMS data on the number of                                            assumption that 25% of replacement                                     purchasing organic heifers for
                                                      replacement heifers purchased, we                                     animals purchased are transitioned                                     replacement purposes is summarized in
                                                      estimate the total increase in cost of                                dairy animals. If the cost of organic                                  Table 7.

                                                                                               TABLE 7—ADDITIONAL COST INCURRED TO PURCHASE ORGANIC HEIFERS
                                                                                                                                                                                       Total additional cost for dairy producers
                                                                                                              Price difference used
                                                                                                                                                                               25% Assumption                                         50% Assumption

                                                      Low Estimate ................        Uses $800 difference between conventional                               $288,000 .....................................         $576,000.
                                                                                             and organic heifers.
                                                      High Estimate ...............        Uses $1,300 difference ($800 above plus $500                            $468,000 ($180,000 of which is                         $935,000 ($359,000 of which is
                                                                                             in assumed organic premium).                                            an intra-industry transfer).                           an intra-industry transfer.



                                                         The cost difference between the low                                proportion of dairies that source at least                               The pattern is different for purchasing
                                                      and high estimate ($359,000 or                                        some of their replacement heifers from                                 heifers. Four percent of operations with
                                                      $180,000) should not be considered a                                  their own calves also varies by size of                                fewer than 50 cows reported purchasing
                                                      net cost, but rather an intra-industry                                operation. Of the largest operations in                                heifers, and the average number
                                                      transfer. While some producers who                                    the ARMS data, those with 200 or more                                  purchased was 10 head. Seven percent
                                                      need to purchase organic heifers will                                 cows, 96 percent reported that at least                                of operations with between 50 and 99
                                                      have additional costs if there is a $500                              some of their replacement heifers were                                 cows reported purchasing heifers, and
                                                      premium for these animals, this                                       born on their operations. All operations                               the average number purchased was 10
                                                      premium will stay within the organic                                  with between 100 and 199 cows                                          head. Three percent of operations with
                                                      dairy sector as a benefit to those                                    reported that at least some of their                                   between 100 and 199 cows reported
                                                      producers supplying organic heifers.                                  replacement heifers were born on their                                 purchasing heifers, and the average
                                                      Any intra-industry transfer is expected                               operations, and 99 percent of operations                               number purchased was 5 head. Eight
                                                      to benefit small operations as such                                   with fewer than 50 cows and those with                                 percent of operations with 200 or more
                                                      operations tend to have more flexibility                              between 50 and 99 cows reported that                                   cows reported purchasing heifers, and
                                                                                                                            at least some of their replacement
                                                      in capacity (e.g., available pasture) to                                                                                                     the average number purchased was 76
                                                                                                                            heifers were born on their operations.
                                                      accommodate raising organic                                              Purchases of milk cows and                                          head. Based on a cost difference of
                                                      replacement heifers for the organic                                   replacement heifers also vary by size.                                 $1,300 per head between transitioned
                                                      market. This flexibility is less apparent                             Ten percent of operations with fewer                                   replacement heifers and organic
                                                      for large operations. Furthermore, the                                than 50 cows reported purchasing milk                                  replacement heifers, and assuming that
                                                      actual costs of this action may be                                    cows, and the average number                                           half of replacement heifers currently
                                                      considerably less than the low estimate.                              purchased was 6 head. Five percent of                                  purchased are transitioned, dairies with
                                                      This analysis is based on a conservative                              operations with between 50 and 99                                      fewer than 50 cows would pay an
                                                      assumption that 50 percent of all                                     cows reported purchasing milk cows,                                    additional $270,000, dairies with
                                                      purchased heifers are transitioned                                    and the average number purchased was                                   between 50 and 99 cows would pay an
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                                                      heifers. Based on discussions with                                    14 head. Three percent of operations                                   additional $280,000, dairies with
                                                      organic dairy producers, we believe that                              with between 100 and 199 cows                                          between 100 and 199 cows would pay
                                                      this proportion is likely smaller which                               reported purchasing milk cows, and the                                 an additional $30,000 and dairies with
                                                      would decrease the low cost estimate.53                               average number purchased was 10 head.                                  200 or more cows would pay an
                                                      The costs of the proposed action will                                 No operations with 200 or more cows                                    additional $355,000. The costs by size of
                                                      vary by size of operation because the                                 reported purchasing milk cows.                                         operation are summarized in Table 8.

                                                        53 Between April 2012 and December 2013, AMS                        sizes to determine the extent to which heifers are
                                                      staff contacted 8 organic dairy producers of various                  raised or purchased on their farms.



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                                                      23474                    Federal Register / Vol. 80, No. 81 / Tuesday, April 28, 2015 / Proposed Rules

                                                                                   TABLE 8—COSTS BY SIZE OF OPERATION FOR PURCHASING ORGANIC HEIFERS
                                                                                                                                Fewer than 50                 50–99 cows                   100–199 cows                200 or more cows
                                                                                                                                   cows

                                                                                                                                Size of Operation

                                                      Percent of operations that purchased replacement heifers            4% .........................   7% .........................   3% .........................   8%.
                                                      Average number of replacement heifers purchased .........           10 head .................      10 head .................      5 head ...................     76 head.
                                                      Total cost for purchase of replacement heifers across               $270,000 ...............       $280,000 ...............       $30,000 .................      $355,000.
                                                        size class.
                                                      Cost per operation (25% to 50% transitioned heifers) ......         $3,250–$6,500 ......           $3,250–$6,500 ......           $1,600–$3,250 ......           $29,700–$49,400.



                                                      Effects on Heifer Development                           relating to the origin of dairy livestock                         and were described in detail in this
                                                      Operations                                              and the management of breeder stock.                              section.
                                                        Heifer development operations raise                   Greater clarity and specificity will                                In addition, and in support of our
                                                                                                              create uniform application of the                                 validation efforts, we also are requesting
                                                      heifers either from wet calves or weaned
                                                                                                              practice standards applied in organic                             comments on or submissions of
                                                      calves and generally sell them as
                                                                                                              production and in turn will help                                  applicable farm or industry data, data
                                                      springers at about 24 months of age. To
                                                                                                              maintain consumer confidence in                                   sources, reports, research and other
                                                      raise organic or transitioned heifers,
                                                                                                              purchasing organic products.                                      relevant information that would help us
                                                      these operations must have organic
                                                                                                                The Organic Trade Association’s                                 better understand the full range of
                                                      pasture available for the heifers to graze.
                                                                                                              (OTA) 2013 U.S. Families’ Organic                                 impacts of the rule on farm income and
                                                      Operations that raise transitioned
                                                                                                              Attitudes and Beliefs tracking study                              profitability.
                                                      heifers may have to increase their
                                                                                                              identified that 13 percent of organic
                                                      ownership or leasing of organic pasture                                                                                   B. Executive Order 12988
                                                                                                              buyers surveyed who saw or heard a
                                                      to continue to operate at their current                 negative news story about organic chose                             Executive Order 12988 instructs each
                                                      capacity since organic heifer calves will               to buy less organic foods. Further,                               executive agency to adhere to certain
                                                      need access to organic pasture for a                    nearly half of non-buyers of organic                              requirements in the development of new
                                                      longer period than transitioned heifers                 products surveyed displayed a decrease                            and revised regulations in order to avoid
                                                      will need access to pasture.                            in their average level of trust in organic                        unduly burdening the court system.
                                                        Since the locations, numbers, and                     products’ authenticity from 5.3 on a 10-                          This proposed rule is not intended to
                                                      sizes of heifer development operations                  point scale in 2012 to 4.4 in 2013.54                             have a retroactive effect.
                                                      are not known, it is not possible to                                                                                        States and local jurisdictions are
                                                      estimate the increased costs this will                  Conclusions                                                       preempted under the OFPA from
                                                      entail. However, it is possible that, to                   A clear and consistent standard for                            creating programs of accreditation for
                                                      the extent that organic heifers sell at a               transition of dairy animals into organic                          private persons or State officials who
                                                      premium to transitioned heifers, the                    production is needed and anticipated by                           want to become certifying agents of
                                                      increased costs may be at least partially               dairy producers, consumers, trade                                 organic farms or handling operations. A
                                                      offset by increases in revenues from                    associations, certifying agents, and the                          governing State official would have to
                                                      selling organic replacement heifers. We                 OIG. This proposed rule would provide                             apply to USDA to be accredited as a
                                                      are seeking data related to the likely                  a foundation for compliance and                                   certifying agent, as described in section
                                                      impacts on heifer development                           enforcement in support of fair                                    6514(b) of the OFPA. States are also
                                                      operations and those for sheep and                      competition among dairy producers                                 preempted under sections 6503 and
                                                      goats.                                                  through a single, well-defined standard.                          6507 of the OFPA from creating
                                                      Effects on Consumers                                    AMS is pursing the regulatory option                              certification programs to certify organic
                                                                                                              that retains the opportunity for new                              farms or handling operations unless the
                                                        Nearly 99 percent of all dairies report               producers to transition into organic                              State programs have been submitted to,
                                                      that they source at least some of their                 dairy production once. In the event of                            and approved by, the Secretary as
                                                      replacement cows from their own                         emergencies, producers, through their                             meeting the requirements of the OFPA.
                                                      calves, and only 4.3 percent of all                     certifiers could apply for a temporary                              Pursuant to section 6507(b)(2) of the
                                                      dairies purchase replacement heifers.                   variance provided for in section                                  OFPA, a State organic certification
                                                      The 95.7 percent of producers that do                   205.290(a).                                                       program may contain additional
                                                      not purchase replacement heifers would                     AMS is seeking comments on the                                 requirements for the production and
                                                      not see an increase in costs. To replace                actual economic impacts, both costs and                           handling of organically produced
                                                      purchased transitioned heifers, dairies                 benefits, of this action on the industry.                         agricultural products that are produced
                                                      would have to either raise their own                    We are specifically interested in                                 in the State and for the certification of
                                                      replacements or buy them from an                        validating the accuracy of the number of                          organic farm and handling operations
                                                      operation that sells organic replacement                farms impacted, validating the accuracy                           located within the State under certain
                                                      heifers. Since the current market for                                                                                     circumstances. Such additional
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                                                                                                              of the estimated number of replacement
                                                      replacement heifers is soft and there are               animals, and understanding the number                             requirements must: (a) Further the
                                                      ample supplies, as detailed above, it is                and size of heifer development                                    purposes of the OFPA, (b) not be
                                                      unlikely that the proposed rule would                   operations that may be affected by this                           inconsistent with the OFPA, (c) not be
                                                      significantly increase producer, and                    action. The costs and benefits are                                discriminatory toward agricultural
                                                      therefore, milk costs to the consumer.                  summarized in the Executive Summary                               commodities organically produced in
                                                                                                                                                                                other States, and (d) not be effective
                                                      Benefits of the Proposed Rule                                                                                             until approved by the Secretary.
                                                                                                                54 Organic Trade Association. 2013. U.S.
                                                        This proposed rule would bring                        Families’ Organic Attitudes and Beliefs: 2013                       Pursuant to section 6519(f) of the
                                                      specificity and clarity to the regulations              Tracking Study. www.ota.com.                                      OFPA, this proposed rule would not


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                                                                               Federal Register / Vol. 80, No. 81 / Tuesday, April 28, 2015 / Proposed Rules                                                    23475

                                                      alter the authority of the Secretary                    The RIA should be referred to for more                 would be impacted as a result of
                                                      under the Federal Meat Inspection Act                   detail.                                                purchasing all organic dairy
                                                      (21 U.S.C. 601–624), the Poultry                           AMS has considered the economic                     replacement animals. As discussed
                                                      Products Inspection Act (21 U.S.C. 451–                 impact of this proposed action on small                above, we do not have data on heifer
                                                      471), or the Egg Products Inspection Act                entities. Small entities include                       development operations that raise dairy
                                                      (21 U.S.C. 1031–1056), concerning meat,                 producers transitioning into organic                   replacement heifers and are unable to
                                                      poultry, and egg products, nor any of                   dairy production, existing organic dairy               estimate the impacts on these entities.
                                                      the authorities of the Secretary of Health              producers, and producers that raise                    As defined by the SBA (13 CFR
                                                      and Human Services under the Federal                    replacement animals for organic dairies.               121.201), small agricultural producers
                                                      Food, Drug and Cosmetic Act (21 U.S.C.                  AMS believes that the cost of                          are defined as those having annual
                                                      301–399), nor the authority of the                      implementing the proposed rule will                    receipts of less than $750,000. AMS
                                                      Administrator of the EPA under the                      fall primarily on organic dairies that                 used this SBA criterion to identify large
                                                      Federal Insecticide, Fungicide and                      currently purchase transitioned heifers,               organic dairy operations, those with
                                                      Rodenticide Act (7 U.S.C. 136–136(y)).                  although dairies currently purchasing                  cash receipts of more than $750,000,
                                                         Section 6520 of the OFPA provides                    organic heifers would be expected to                   and small operations, those with cash
                                                      for the Secretary to establish an                       pay higher prices in the short-term due                receipts of $750,000 or less. The ARMS
                                                      expedited administrative appeals                        to increased competition for these                     dataset estimates that 95 percent had
                                                      procedure under which persons may                       animals. Farms that sell their excess                  cash receipts below $750,000 and 5
                                                      appeal an action of the Secretary, the                  organic replacement heifers may see an                 percent had cash receipts above
                                                      applicable governing State official, or a               increase in demand for their heifers                   $750,000. Using the NASS estimate for
                                                      certifying agent under this title that                  while farms that raise their own organic               the total number of organic dairy
                                                      adversely affects such person or is                     replacement heifers would not be                       operations, AMS estimates that, in 2011,
                                                      inconsistent with the organic                           affected by the proposed rule. AMS                     there were 91 large operations and 1,756
                                                      certification program established under                 believes there may be a limited number                 operations that would be considered
                                                      this title. The OFPA also provides that                 of heifer development operations who                   small under the SBA criterion.
                                                      the U.S. District Court for the district in             could be impacted by this action.                         AMS notes that there is little variation
                                                      which a person is located has                           However, since the locations, numbers,                 in the proportion of organic dairies that
                                                      jurisdiction to review the Secretary’s                  and sizes of heifer development                        source at least some of their
                                                                                                              operations are not known, it is not                    replacement heifers from their own
                                                      decision.
                                                                                                              possible to estimate the number of such                calves. Of the large operations, 96
                                                      C. Regulatory Flexibility Analysis                      entities and any increased costs for                   percent reported that at least some of
                                                                                                              those entities.                                        their replacement heifers were born on
                                                         The Regulatory Flexibility Act (RFA)                    This proposed rule would also affect                their operations. About 99 percent of
                                                      (5 U.S.C. 601–612) requires agencies to                 certifying agents that certify organic                 small operations reported sourcing at
                                                      consider the economic impact of each                    dairy operations. The Small Business                   least some of their replacement heifers
                                                      rule on small entities and evaluate                     Administration (SBA) defines small                     from calves born on their operations.
                                                      alternatives that would accomplish the                  agricultural service firms, which                         While the frequency of purchases of
                                                      objectives of the rule without unduly                   includes certifying agents, as those                   replacement heifers varied little by size,
                                                      burdening small entities or erecting                    having annual receipts of less than                    our analysis shows that the mean
                                                      barriers that would restrict their ability              $7,000,000 (North American Industry                    number of replacement heifers
                                                      to compete in the market. The purpose                   Classification System Subsector 115—                   purchased was significantly different
                                                      is to fit regulatory actions to the scale of            Support Activities for Agriculture and                 across size categories. Small operations
                                                      businesses subject to the action.                       Forestry). There are currently 84 USDA-                were slightly less likely to buy
                                                         The RFA permits agencies to prepare                  accredited certifying agents; based on a               replacement heifers (5.3 percent versus
                                                      the initial RFA in conjunction with                     query of the NOP certified organic                     5.5 percent). Of the small operations
                                                      other analyses required by law, such as                 operations database, there are                         that purchased replacement heifers, the
                                                      the Regulatory Impact Analysis (RIA).                   approximately 53 certifying agents who                 average number purchased was 10 head,
                                                      AMS notes that several requirements to                  are currently involved in the                          compared with an average purchase of
                                                      complete the RFA overlap with the RIA.                  certification of organic dairies. AMS                  107 head for large operations. For this
                                                      For example, the RFA requires a                         believes that these certifying agents                  cost analysis, we assumed a cost
                                                      description of the reasons why action by                would meet the criterion for a small                   difference of $1,300 per head between
                                                      the agency is being considered and an                   business. While certifying agents are                  transitioned replacement heifers and
                                                      analysis of the proposed rule’s costs to                small entities that will be affected by                organic replacement heifers and
                                                      small entities. The RIA describes the                   this proposed rule, we do not expect                   assumed that half of replacement heifers
                                                      need for this proposed rule, the                        these certifying agents to incur                       currently purchased are transitioned.55
                                                      alternatives considered and the                         significant costs as a result of this                  Based on our analysis, AMS estimates
                                                      potential costs and benefits of this                    action. Certifying agents already must                 that, under the proposed rule, small
                                                      proposed rule. In order to avoid                        comply with the current regulations,                   operations would collectively spend an
                                                      duplication, we combine some analyses                   e.g., maintaining certification records                additional $588,000 for heifers. Large
                                                      as allowed in section 605(b) of the RFA.                for organic dairy operations. Their                    operations would collectively pay an
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                                                      As explained below, AMS expects that                    primary new responsibility under this                  additional $347,000 for heifers. Of the
                                                      the entities that could be impacted by                  proposal will be to determine, through                 operations that purchased heifers, the
                                                      this proposed rule would qualify as                     the existing application process for                   average additional cost per operation
                                                      small businesses. In the RIA, the                       organic certification, a producer’s                    would be $6,300 for small operations
                                                      discussion of alternatives and the                      eligibility for a one-time transition into
                                                      potential costs and benefits pertain to                 organic production.                                      55 The determination of a cost difference of $1,300

                                                      impacts upon all entities, including                       For the RFA analysis, AMS focused                   per head and the assumption about the proportion
                                                                                                                                                                     of replacement heifers that are transitioned is
                                                      small entities. Therefore, the scope of                 on estimating how different size organic               discussed in the RIA. See section on EO 12866 and
                                                      those analyses is applicable to the RFA.                dairy operations (small versus large)                  13563.



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                                                      23476                            Federal Register / Vol. 80, No. 81 / Tuesday, April 28, 2015 / Proposed Rules

                                                      and $70,000 for large operations. AMS                                   head paid by large and small operations                                  using the SBA criterion for small
                                                      notes that this analysis assumed that                                   for purchases of replacement heifers.                                    businesses (i.e., producers with less
                                                      there is no difference in the cost per                                  Table 9 summarizes the cost analysis                                     than $750,000 in cash receipts).

                                                                          TABLE 9—COST OF ORGANIC REPLACEMENT HEIFERS BY SBA CRITERION FOR SMALL BUSINESSES
                                                                                                                                                                                                                 Small operations   Large operations
                                                                                                                                                                                                                  (<$750,000)        (>=$750,000)

                                                      Total cost (all operations) ............................................................................................................................           $588,000          $347,000
                                                      Per operation purchasing replacement heifers (25% to 50% transitioned replacements) .........................                                                   3,150–6,300     35,000–70,000



                                                        To understand the potential costs in                                  substantial direct effects on one or more                                participation in or deny the benefits of
                                                      context, we used the higher average cost                                Indian tribes, on the relationship                                       the NOP to any person due to
                                                      estimate per operation from Table 9 for                                 between the Federal Government and                                       discrimination because of race, color,
                                                      the purchase of organic replacement                                     Indian tribes or on the distribution of                                  national origin, gender, religion, age,
                                                      heifers (i.e., $6,300 for small; $70,000                                power and responsibilities between the                                   disability, political beliefs, sexual
                                                      for large) and compared it to the average                               Federal Government and Indian tribes.                                    orientation, or marital or family status.’’
                                                      gross cash farm income for each size                                      AMS has assessed the impact of this                                    Paragraph 205.501(a)(2) requires
                                                      category. In 2011, the average gross farm                               rule on Indian tribes and determined                                     ‘‘certifying agents to demonstrate the
                                                      cash income for small operations was                                    that this rule may have tribal                                           ability to fully comply with the
                                                      $211,375, and $2,348,345 for large                                      implications that require tribal                                         requirements for accreditation set forth
                                                      operations. For both small and large                                    consultation under EO 13175. If a Tribe                                  in this subpart’’ including the
                                                      operations, the average additional costs                                requests consultation, AMS will work                                     prohibition on discrimination. The
                                                      imposed by the requirement to purchase                                  with the Office of Tribal Relations to                                   granting of accreditation to certifying
                                                      organic replacement heifers accounts for                                ensure meaningful consultation is                                        agents under section 205.506 requires
                                                      approximately 2.9 percent of an                                         provided where changes, additions and                                    the review of information submitted by
                                                      operation’s average gross cash farm                                     modifications identified herein are not                                  the certifying agent and an on-site
                                                      income. AMS believes that any costs                                     expressly mandated by Congress.                                          review of the certifying agent’s
                                                      incurred by producers in complying                                                                                                               operation. Further, if certification is
                                                                                                                              E. Paperwork Reduction Act
                                                      with this proposed action would be                                                                                                               denied, section 205.405(d) requires that
                                                      offset by a stronger marketplace for                                      No additional collection or                                            the certifying agent notify the applicant
                                                      organic dairy products. If implemented,                                 recordkeeping requirements are                                           of their right to file an appeal to the
                                                      this action would, as discussed in the                                  imposed on the public by this proposed                                   AMS Administrator in accordance with
                                                      benefits portion of the RIA, ensure that                                rule. Accordingly, OMB clearance is not                                  section 205.681. These regulations
                                                      consumer expectations are met and                                       required by the Paperwork Reduction                                      provide protections against
                                                      support the growing market for these                                    Act of 1995, 44 U.S.C. 3501, Chapter 35.                                 discrimination, thereby permitting all
                                                      organic products. AMS believes that,                                    F. Civil Rights Impact Analysis                                          producers, regardless of race, color,
                                                      over the long run, the economic impact                                                                                                           national origin, gender, religion, age,
                                                      on producers of not implementing this                                     AMS has reviewed this proposed rule                                    disability, political beliefs, sexual
                                                      proposed rule would be greater than the                                 in accordance with the Department                                        orientation, or marital or family status,
                                                      economic impact of this proposed rule                                   Regulation 4300–4, Civil Rights Impact                                   who voluntarily choose to adhere to the
                                                      due to the need for greater consistency                                 Analysis (CRIA), to address any major                                    rule and qualify, to be certified as
                                                      in applying the origin of livestock                                     civil rights impacts the rule might have                                 meeting NOP requirements by an
                                                      standard across the organic dairy sector.                               on minorities, women, and persons with                                   accredited certifying agent. This
                                                        In addition, AMS has not identified                                   disabilities. After a careful review of the                              proposed rule in no way changes any of
                                                      any relevant Federal rules that are                                     rule’s intent and provisions, AMS has                                    these protections against discrimination.
                                                      currently in effect that duplicate,                                     determined that this rule would only
                                                                                                                              impact the organic practices of organic                                  List of Subjects in 7 CFR Part 205
                                                      overlap, or conflict with this proposed
                                                      rule. This action provides additional                                   producers and that this rule has no                                        Administrative practice and
                                                      clarity on the origin of livestock                                      potential for affecting producers in                                     procedure, Agriculture, Animals,
                                                      requirements that are specific and                                      protected groups differently than the                                    Archives and records, Imports, Labeling,
                                                      limited to the USDA organic                                             general population of producers. This                                    Organically produced products, Plants,
                                                      regulations.                                                            rulemaking was initiated to clarify a                                    Reporting and recordkeeping
                                                                                                                              regulatory requirement and enable                                        requirements, Seals and insignia, Soil
                                                      D. Executive Order 13175                                                consistent implementation and                                            conservation.
                                                        This proposed rule has been reviewed                                  enforcement.                                                               For the reasons set forth in the
                                                      in accordance with the requirements of                                    Protected individuals have the same                                    preamble, 7 CFR part 205 is proposed to
                                                      Executive Order 13175, ‘‘Consultation                                   opportunity to participate in the NOP as                                 be amended as follows:
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                                                      and Coordination with Indian Tribal                                     non-protected individuals. The USDA
                                                      Governments.’’ Executive Order 13175                                    organic regulations prohibit                                             PART 205—NATIONAL ORGANIC
                                                      requires Federal agencies to consult and                                discrimination by certifying agents.                                     PROGRAM
                                                      coordinate with tribes on a government-                                 Specifically, section 205.501(d) of the
                                                      to-government basis on policies that                                    current regulations for accreditation of                                 ■ 1. The authority citation for 7 CFR
                                                      have tribal implications, including                                     certifying agents provides that ‘‘No                                     part 205 continues to read:
                                                      regulations, legislative comments or                                    private or governmental entity                                               Authority: 7 U.S.C. 6501–6522.
                                                      proposed legislation, and other policy                                  accredited as a certifying agent under                                   ■ 2. Section 205.2 is amended by adding
                                                      statements or actions that have                                         this subpart shall exclude from                                          in alphabetical order definitions for


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                                                                               Federal Register / Vol. 80, No. 81 / Tuesday, April 28, 2015 / Proposed Rules                                                 23477

                                                      ‘‘dairy farm,’’ ‘‘organic management,’’                 organic production after completion of                    (1) Livestock, edible livestock
                                                      third-year transitional crop,’’                         this one-time transition. This transition              products, or nonedible livestock
                                                      ‘‘transitional crop,’’ and ‘‘transitioned               must occur over a continuous 12-month                  products such as animal fiber that are
                                                      animal’’ to read as follows:                            period prior to production of milk or                  removed from an organic operation and
                                                                                                              milk products that are to be sold,                     subsequently managed on a nonorganic
                                                      § 205.2   Terms defined.                                labeled, or represented as organic, and                operation may not be sold, labeled, or
                                                      *     *     *     *     *                               meet the following conditions:                         represented as organically produced.
                                                         Dairy farm. A premises with a milking                   (i) During the 12-month period, dairy                  (2) Breeder stock, dairy stock, or
                                                      parlor where at least one lactating                     animals must be under continuous                       transitioned animals that have not been
                                                      animal is milked.                                       organic management;                                    under continuous organic management
                                                      *     *     *     *     *                                  (ii) During the 12-month period, the                since the last third of gestation may not
                                                         Organic management. Management of                    producer should describe the transition                be sold, labeled, or represented as
                                                      a production or handling operation in                   as part of its organic system plan and                 organic slaughter stock.
                                                      compliance with all applicable                          submit this as part of an application for                 (c) The producer of an organic
                                                      production and handling provisions                      certification to a certifying agent, as                livestock operation must maintain
                                                      under this part.                                        required in § 205.401;                                 records sufficient to preserve the
                                                      *     *     *     *     *                                  (iii) During the 12-month period,                   identity of all organically managed
                                                         Third-year transitional crop. Crops                  dairy animals and their offspring may                  animals, including whether they are
                                                      and forage from land, included in the                   consume third-year transitional crops;                 transitioned animals, and edible and
                                                      organic system plan of a producer’s                        (iv) Offspring born during or after the             nonedible animal products produced on
                                                      operation, that has had no application of               12-month period are transitioned                       the operation.
                                                      prohibited substances within 2 years                    animals if they consume third-year
                                                                                                                                                                     ■ 4. Section 205.237 is amended by
                                                      prior to harvest of the crop or forage.                 transitional crops during the transition
                                                                                                              or if the mother consumes third year                   revising paragraph (a) to read as follows:
                                                      *     *     *     *     *
                                                         Transitional crop. Any agricultural                  transitional crops during the offspring’s              § 205.237   Livestock feed.
                                                      crop or forage from land, included in                   last third of gestation;
                                                                                                                 (v) Offspring born from transitioning                  (a) The producer of an organic
                                                      the organic system plan of a producer’s                                                                        livestock operation must provide
                                                      operation, that has had no application of               dairy animals are organic if they are
                                                                                                              under continuous organic management                    livestock with a total feed ration
                                                      prohibited substances within one year                                                                          composed of agricultural products,
                                                      prior to harvest of the crop or forage.                 and if only certified organic crops and
                                                                                                              forages are used from their last third of              including pasture and forage, that are
                                                         Transitioned animal. A dairy animal                                                                         organically produced and handled by
                                                      that was converted to organic milk                      gestation;
                                                                                                                 (vi) All dairy animals must end the                 operations certified to the NOP, except
                                                      production in accordance with                                                                                  as provided in § 205.236(a)(2)(iii),
                                                      § 205.236(a)(2); offspring borne to a                   transition at the same time;
                                                                                                                 (vii) Dairy animals that complete the               except, that, synthetic substances
                                                      transitioned animal that, during its last                                                                      allowed under § 205.603 and
                                                      third of gestation, consumes third year                 transition are transitioned animals and
                                                                                                              must not be used for organic livestock                 nonsynthetic substances not prohibited
                                                      transitional crops; or offspring borne                                                                         under § 205.604 may be used as feed
                                                      during the one-time transition exception                products other than organic milk;
                                                                                                                 (viii) After the 12-month period ends,              additives and feed supplements,
                                                      that themselves consume third year                                                                             Provided, That, all agricultural
                                                      transitional crops. Such animals must                   transitioned animals may produce
                                                                                                              organic milk on any organic dairy farm                 ingredients included in the ingredients
                                                      not be sold, labeled, or represented as                                                                        list, for such additives and supplements,
                                                      organic slaughter stock or for the                      as long as the animal is under
                                                                                                              continuous organic management at all                   shall have been produced and handled
                                                      purpose of organic fiber.                                                                                      organically.
                                                      *     *     *     *     *                               times on a certified organic operation;
                                                                                                              and                                                    *      *     *    *     *
                                                      ■ 3. Section 205.236 is revised to read
                                                      as follows:                                                (ix) After the 12-month period ends,                ■ 5. Section 205.239 is amended by
                                                                                                              any new dairy animal brought onto a                    revising paragraph (a)(3) to read as
                                                      § 205.236   Origin of livestock.                        producer’s dairy farm(s) for organic milk              follows:
                                                         (a) Livestock products that are to be                production must be an animal under
                                                                                                                                                                     § 205.239   Livestock living conditions.
                                                      sold, labeled, or represented as organic                continuous organic management from
                                                      must be from livestock under                            the last third of gestation or a                         (a) * * *
                                                      continuous organic management from                      transitioned animal sourced from                         (3) Appropriate clean, dry bedding.
                                                      the last third of gestation or hatching:                another certified organic dairy farm.                  When roughages are used as bedding,
                                                      Except, That:                                              (3) Breeder stock. Livestock used as                they shall have been organically
                                                         (1) Poultry. Poultry or edible poultry               breeder stock may be brought from a                    produced in accordance with this part
                                                      products must be from poultry that has                  nonorganic operation onto an organic                   by an operation certified under this part,
                                                      been under continuous organic                           operation at any time, Provided, That                  except as provided in
                                                      management beginning no later than the                  the following conditions are met:                      § 205.236(a)(2)(iii), and, if applicable,
                                                      second day of life;                                        (i) Such breeder stock must be                      organically handled by operations
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                                                         (2) Dairy animals. A producer as                     brought onto the operation no later than               certified to the NOP.
                                                      defined in § 205.2 may transition dairy                 the last third of gestation if its offspring           *     *     *     *     *
                                                      animals into organic production only                    are to be raised as organic livestock; and
                                                      once. A producer is eligible for this                      (ii) Such breeder stock must be                       Dated: April 23, 2015.
                                                      transition only if the producer starts a                managed organically throughout the last                Rex A. Barnes,
                                                      new organic dairy farm or converts an                   third of gestation and the lactation                   Associate Administrator, Agricultural
                                                      existing nonorganic dairy farm to                       period during which time they may                      Marketing Service.
                                                      organic production. A producer must                     nurse their own offspring.                             [FR Doc. 2015–09851 Filed 4–27–15; 8:45 am]
                                                      not transition any new animals into                        (b) The following are prohibited:                   BILLING CODE P




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Document Created: 2015-12-16 08:36:05
Document Modified: 2015-12-16 08:36:05
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionProposed rule.
DatesComments must be received by July 27, 2015.
ContactAndrew Perry, Director, Standards Division, Telephone: (202) 720-3252; Fax: (202) 205-7808.
FR Citation80 FR 23455 
RIN Number0581-AD08
CFR AssociatedAdministrative Practice and Procedure; Agriculture; Animals; Archives and Records; Imports; Labeling; Organically Produced Products; Plants; Reporting and Recordkeeping Requirements; Seals and Insignia and Soil Conservation

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