80_FR_38050 80 FR 37923 - Importation of Beef From a Region in Brazil

80 FR 37923 - Importation of Beef From a Region in Brazil

DEPARTMENT OF AGRICULTURE
Animal and Plant Health Inspection Service

Federal Register Volume 80, Issue 127 (July 2, 2015)

Page Range37923-37934
FR Document2015-16337

We are amending the regulations governing the importation of certain animals, meat, and other animal products by allowing, under certain conditions, the importation of fresh (chilled or frozen) beef from a region in Brazil (the States of Bahia, Distrito Federal, Esp[iacute]rito Santo, Goi[aacute]s, Mato Grosso, Mato Grosso do Sul, Minas Gerais, Paran[aacute], Rio Grande do Sul, Rio de Janeiro, Rond[ocirc]nia, S[atilde]o Paulo, Sergipe, and Tocantins). Based on the evidence in a recent risk assessment, we have determined that fresh (chilled or frozen) beef can be safely imported from those Brazilian States provided certain conditions are met. This action provides for the importation of beef from the designated region in Brazil into the United States while continuing to protect the United States against the introduction of foot-and-mouth disease.

Federal Register, Volume 80 Issue 127 (Thursday, July 2, 2015)
[Federal Register Volume 80, Number 127 (Thursday, July 2, 2015)]
[Rules and Regulations]
[Pages 37923-37934]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-16337]



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Federal Register / Vol. 80, No. 127 / Thursday, July 2, 2015 / Rules 
and Regulations

[[Page 37923]]



DEPARTMENT OF AGRICULTURE

Animal and Plant Health Inspection Service

9 CFR Part 94

[Docket No. APHIS-2009-0017]
RIN 0579-AD41


Importation of Beef From a Region in Brazil

AGENCY: Animal and Plant Health Inspection Service, USDA.

ACTION: Final rule.

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SUMMARY: We are amending the regulations governing the importation of 
certain animals, meat, and other animal products by allowing, under 
certain conditions, the importation of fresh (chilled or frozen) beef 
from a region in Brazil (the States of Bahia, Distrito Federal, 
Esp[iacute]rito Santo, Goi[aacute]s, Mato Grosso, Mato Grosso do Sul, 
Minas Gerais, Paran[aacute], Rio Grande do Sul, Rio de Janeiro, 
Rond[ocirc]nia, S[atilde]o Paulo, Sergipe, and Tocantins). Based on the 
evidence in a recent risk assessment, we have determined that fresh 
(chilled or frozen) beef can be safely imported from those Brazilian 
States provided certain conditions are met. This action provides for 
the importation of beef from the designated region in Brazil into the 
United States while continuing to protect the United States against the 
introduction of foot-and-mouth disease.

DATES: Effective August 31, 2015.

FOR FURTHER INFORMATION CONTACT: Dr. Silvia Kreindel, Senior Staff 
Veterinarian, Regional Evaluation Services Staff, National Center for 
Import and Export, VS, APHIS, 4700 River Road Unit 38, Riverdale, MD 
20737-1231; (301) 851-3313.

SUPPLEMENTARY INFORMATION: 

Background

    The regulations in 9 CFR part 94 (referred to below as the 
regulations) prohibit or restrict the importation of certain animals 
and animal products into the United States to prevent the introduction 
of various animal diseases, including rinderpest, foot-and-mouth 
disease (FMD), African swine fever, classical swine fever, and swine 
vesicular disease. These are dangerous and destructive communicable 
diseases of ruminants and swine. Section 94.1 of the regulations 
contains criteria for recognition by the Animal and Plant Health 
Inspection Service (APHIS) of foreign regions as free of rinderpest or 
free of both rinderpest and FMD. Section 94.11 restricts the 
importation of ruminants and swine and their meat and certain other 
products from regions that are declared free of rinderpest and FMD but 
that nonetheless present a disease risk because of the regions' 
proximity to or trading relationships with regions affected with 
rinderpest or FMD. Regions APHIS has declared free of FMD and/or 
rinderpest, and regions declared free of FMD and rinderpest that are 
subject to the restrictions in Sec.  94.11, are listed on the APHIS Web 
site at http://www.aphis.usda.gov/import_export/animals/animal_disease_status.shtml.
    On December 23, 2013, we published in the Federal Register (78 FR 
77370-77376, Docket No. APHIS-2009-0017) a proposal \1\ to allow, under 
certain conditions, the importation of fresh (chilled or frozen) beef 
from a region in Brazil (the States of Bahia, Distrito Federal, 
Esp[iacute]rito Santo, Goi[aacute]s, Mato Grosso, Mato Grosso do Sul, 
Minas Gerais, Paran[aacute], Rio Grande do Sul, Rio de Janeiro, 
Rond[ocirc]nia, S[atilde]o Paulo, Sergipe, and Tocantins).
---------------------------------------------------------------------------

    \1\ To view the proposed rule, the supporting risk assessment, 
economic analysis, and the comments we received, go to http://www.regulations.gov/#!docketDetail;D=APHIS-2009-0017.
---------------------------------------------------------------------------

    We solicited comments concerning our proposal for 60 days ending 
February 21, 2014. We reopened and extended the deadline for comments 
until April 22, 2014, in a document published in the Federal Register 
on February 27, 2014 (79 FR 10999, Docket No. APHIS-2009-0017). We 
received 870 comments by that date. They were from producers, trade 
associations, veterinarians, representatives of State and foreign 
governments, and individuals. They are discussed below by topic.

    Note:  In our December 2013 proposed rule, we proposed to amend 
Sec.  94.22 to allow the importation of fresh beef from Brazil 
subject to the conditions already laid out in that section for the 
importation of beef and ovine meat from Uruguay. Because that and 
other sections in part 94 have been redesignated since the 
publication of the proposed rule, in this final rule, we are 
amending Sec.  94.29 instead.

General FMD Risk

    Many commenters, citing the highly contagious nature of FMD, 
expressed the view that we should not allow fresh beef to be imported 
from any country where the disease is present because regionalization 
is not likely to mitigate the risks associated with imports 
effectively. Commenters noted that the FMD virus can travel up to 60 
miles on the wind. Commenters also cited bird fecal matter and people 
traveling between affected and non-affected areas as additional vectors 
for transmission of the virus.
    As noted in the risk assessment accompanying the December 2013 
proposed rule, we considered the epidemiological characteristics of 
FMD. Based on our assessment, we concluded that beef from the exporting 
region of Brazil could safely be imported into the United States, 
provided that FMD has not been diagnosed in that region within the past 
12 months, that there is no commingling of bovines or beef from that 
region with animals or beef from other regions prior to export, and 
that certain additional FMD-mitigation requirements, which include 
removal of bones and certain tissue and chilling of the carcasses until 
they reach a pH level of under 6.0, are met. We evaluated information 
submitted by Brazil's Ministry of Agriculture, Livestock and Food 
Supply (MAPA) and verified the accuracy of that information by 
conducting site visits. We concluded that Brazil has the legal 
framework, animal health infrastructure, movement and border controls, 
diagnostic capabilities, surveillance programs, and emergency response 
capacity to prevent FMD outbreaks within the boundaries of the 
Brazilian export region and, in the unlikely event that one should 
occur, to detect, control, and eradicate the disease. Brazil's active 
and passive surveillance system would allow for rapid detection. In the 
event of an

[[Page 37924]]

outbreak, in the exporting region, Brazil would promptly report 
findings to the World Organization for Animal Health (OIE), and the 
United States would stop importing beef from Brazil. Our findings 
regarding Brazil's disease-control capabilities give us confidence that 
the mitigation methods required under this rulemaking will safely 
permit the importation of fresh beef from Brazil.
    Some commenters cited FMD's 14-day incubation period as an 
additional risk factor. It was suggested that infected cattle may not 
exhibit clinical signs of FMD during the incubation period. According 
to those commenters, such cattle could be slaughtered and enter the 
food chain, with the FMD-infected beef derived from them potentially 
being exported to the United States. Commenters advised us to adopt 
what they stated was the recommendation of the OIE for a 3-week 
quarantine of animals from which beef for export is to be derived and 
for the complete segregation of animals in the export zone from animals 
in adjacent infected zones.
    APHIS disagrees with the commenters. The OIE guidelines do not 
require the quarantine of cattle whose beef is destined for exportation 
from FMD-free regions with vaccination. Article 8.7.24 of the OIE 
Terrestrial Animal Health Code states that veterinary authorities of 
countries importing fresh meat from countries or regions recognized by 
the OIE as FMD-free with vaccination should require the presentation of 
an international veterinary certificate attesting that the entire 
consignment of meat comes from animals which (1) have either been kept 
in the free-with-vaccination region or country or otherwise meet OIE 
requirements for live animal imports under Chapter 8.7 and (2) have 
been slaughtered in an approved abattoir and have been subjected to 
ante- and post-mortem inspections for FMD with favorable results. 
Similarly, under this rulemaking we require that the animals from which 
the meat is derived must have been born and raised in the exporting 
region. Because the animals would have lived only in the exporting 
region, they would be unlikely to have been exposed to the FMD virus, 
and, if exposed, would have been immunized against the particular FMD 
strains that are prevalent in the region. APHIS does recognize the 
possibility, however remote, that because cattle that are in the early 
stages of the FMD incubation period may not show clinical signs of FMD, 
an ante-mortem inspection could fail to detect the disease, and FMD-
infected cattle could be presented for slaughter, processing, and 
export of meat. In our view, however, the additional mitigation 
measures contained in this rulemaking, which include requiring the 
maturation of the beef in a chiller until the pH level in the 
longissimus dorsi is less than 6.0 and the removal of bovine parts, 
such as the head, feet, and internal organs, that are associated with a 
higher FMD risk than muscle tissue will ensure that beef may be safely 
imported into the United States from Brazil.
    Some of the comments expressed reservations about the efficacy of 
the maturation requirements contained in the proposed rule, which 
included chilling of the carcass after slaughter for a minimum of 24 
and a maximum of 48 hours to ensure that the pH in the loin muscle will 
be below 6.0. One commenter stated that chilling beef may be inadequate 
for eliminating the FMD virus, since that virus can remain active in 
blood clots. Another commenter stated that the reduction of pH is not 
included as one of the recognized procedures for the inactivation of 
FMD virus in meat in the OIE Terrestrial Animal Health Code. It was 
suggested that, in order to effectively reduce the risk of FMD virus 
presence in meat, freezing should occur after maturation. According to 
one commenter, however, if freezing occurs too early after slaughter, 
any FMD virus that is present in the meat may survive for months.
    Based on the existing scientific literature, it is generally 
accepted that FMD virus is inactivated at pH 6.0 or below after 
maturation at a temperature of 4 [deg]C. Acidification of skeletal 
muscle that takes place during carcass maturation is normally 
sufficient to inactivate FMD virus in this tissue, even when cattle are 
killed at the height of viremia. Because it is known that the required 
level of acidification cannot be guaranteed under all circumstances, 
measuring of the pH level of the carcass muscle can be used to ensure 
that it has occurred.
    APHIS agrees that chilling alone may not be adequate to eliminate 
the virus. Other tissues, organs, etc., that may harbor FMD virus, such 
as blood clots, heads, feet, viscera, bones, and major lymph nodes, do 
not undergo acidification, allowing the virus to survive the maturation 
process and subsequent low-temperature storage. Under this rulemaking, 
however, as noted previously, these tissues and organs must be removed 
from the carcasses prior to export to the United States.
    Some commenters, though, also questioned the efficacy of those 
mitigation measures. It was stated that their effectiveness had not 
been demonstrated conclusively by the scientific literature. It was 
claimed that there is no agreed safe threshold level in the literature 
for FMD virus contamination for deboned beef. It was also claimed that 
scientific information is lacking on the amount of residual blood clot, 
lymph node, and bone tissue remaining after deboning, which is a 
concern because, as noted above, FMD virus can survive maturation in 
the lymph nodes and bone marrow. Information was also said to be 
lacking on the survivability of the FMD virus in deboned beef from 
carcasses where the normal acidification of skeletal muscle had not 
occurred and on FMD survival in fat tissues.
    APHIS recognizes that blood clots and lymph nodes do not undergo 
acidification. As explained above, however, under this rulemaking, 
these tissues and organs must be removed from the carcasses prior to 
export to the United States. Carcasses in which normal acidification 
has not occurred would not be eligible for export to the United States. 
The rule allows the importation of muscle tissue, but not fat, into the 
United States. The demonstrated efficacy of maturation in inactivating 
the FMD virus in carcasses has already been noted. Even where marbling 
occurs, the maturation process is sufficient to inactivate the FMD 
virus.
    A number of commenters expressed reservations about the 
effectiveness of vaccinating animals as a means of mitigating the risk 
of exposing U.S. livestock to FMD via imported beef. It was stated that 
vaccinated animals may become FMD carriers; that vaccinations are not 
foolproof due to variations in disease strain (FMD has seven distinct 
serotypes), mutations, and differences in susceptibility of organisms; 
and that wildlife cannot be vaccinated. The Government of Nicaragua, in 
comments submitted, claimed that the efficacy of immunization via 
vaccination with strains of attenuated virus remains a subject of 
scientific debate. Commenters further stated that FMD may spread by 
means of contaminated vaccines or the escape of the virus from vaccine 
production facilities. It was suggested that APHIS should stick to its 
previous policy of allowing imports only from regions free of a disease 
without vaccination.
    APHIS acknowledges that vaccination of livestock has certain 
limitations as a risk-mitigation measure and for that reason, does not 
recognize a country that vaccinates for FMD as free of the disease. 
Vaccination of cattle against FMD introduces risks related to the 
immunological response within the vaccinated herd. While a large

[[Page 37925]]

percentage of individual animals in the herd may fully respond to FMD 
vaccination, some animals may have a limited response, resulting in 
partial or no immunity. Still, the scientific literature and decades of 
epidemiological, surveillance, and trade data indicate that the 
combination of vaccination and the mitigation measures we require under 
this rulemaking, (e.g., inspection, removal of certain tissue from the 
carcasses, and maturation), are adequate to appropriately minimize the 
risk of introduction of FMD into the United States via the importation 
of fresh beef from countries that vaccinate for FMD. In 2003, APHIS 
authorized the importation of fresh beef under the same conditions that 
are found in this rule from Uruguay, a region that, like the exporting 
region of Brazil covered under this rule, is free of FMD with 
vaccination. The importation of such Uruguayan beef has not been 
associated with an increased risk of FMD. Further, as we described in 
the risk assessment and will discuss in greater detail later in this 
document, Brazil has an effective vaccination program. Quality control 
measures are in place to ensure that the FMD virus will not be spread 
by contaminated vaccines or insufficient biosecurity measures at 
vaccine production facilities. FMD vaccine production in Brazil 
complies with international guidelines.
    Some commenters expressed reservations about APHIS' ability to 
prevent the introduction of FMD into the United States via beef imports 
from Brazil and to respond to an outbreak should one occur. It was 
stated that APHIS has neither the physical and financial resources to 
adequately inspect Brazilian beef production and processing sites or to 
control an outbreak in the United States. Additionally, some commenters 
stated that production and distribution of appropriate vaccines could 
prove challenging in the event of an outbreak in the United States.
    We disagree with some of these comments. In carrying out our 
safeguarding mission, APHIS works to ensure the continued health and 
welfare of our nation's livestock and poultry. One important aspect of 
this work is making sure we can readily detect foreign animal diseases, 
such as FMD, and respond efficiently and effectively when faced with an 
outbreak. APHIS partners with other Federal, State, and local 
government agencies and private cooperators to expand the pool of 
available resources we can draw on in an emergency. We recognize that, 
depending on the size and scope of an outbreak, the production and 
distribution of vaccines could prove challenging. While we do have a 
resource in the North American Foot-and-Mouth Disease Vaccine Bank, 
which stores many types of inactivated FMD virus antigens, this 
resource might be overwhelmed in the face of a large and expanding 
outbreak. APHIS continues to discuss this issue and engage our 
stakeholders in planning and preparation for any response.
    As discussed later in this document and in the risk assessment, we 
consider the feeding of FMD-contaminated waste to susceptible animals, 
particularly swine, to be the most likely pathway for the transmission 
of the disease. A commenter representing the pork industry questioned 
whether budget cuts to APHIS and State animal health staffs have had a 
negative effect on the ability to carry out the regulatory activities 
outlined in the Swine Health Protection Act (SHPA), and if so, whether 
the resulting reduction in regulatory activities had decreased the 
number of inspections and searches for unlicensed garbage-feeding 
operations to a level lower than that we found in a pathway analysis we 
conducted in 1995 to estimate the likelihood of exposing swine to 
infected waste.
    Budget cuts to APHIS have necessitated a reordering of priorities 
in relation to SHPA-related activities. We have deemphasized or passed 
on to State partners or other cooperators lower-yield activities, such 
as visiting restaurants to inquire about garbage-disposal methods, in 
favor of allowing inspectors to spend more time interacting with and 
educating swine producers and conducting inspections. The regular 
presence of APHIS inspectors in U.S. garbage feeding facilities 
provides opportunities to educate operators on disease signs and 
reporting requirements and to conduct direct observation of animals for 
signs of illness. APHIS believes, therefore, that the presence of 
animal products infected with FMD or other reportable conditions 
entering the United States would be detected more quickly in these 
types of premises than in other, unregulated premises.

Brazilian Disease Control Measures

    Many commenters opposed the December 2013 proposed rule on the 
grounds that, contrary to the conclusions of our risk assessment, 
Brazil's existing disease-control measures are inadequate to prevent 
producers in that country from exporting FMD-contaminated beef to the 
United States. Commenters expressed concerns about, among other things, 
Brazil's vaccination program, testing and disease reporting protocols, 
slaughter plant procedures, veterinary infrastructure, international 
border and internal movement controls, and the possibility of wildlife 
infecting the Brazilian cattle herd with FMD.
    We have already noted that some commenters questioned the efficacy 
of vaccination as a means of combatting the spread of FMD. A number of 
commenters also expressed reservations specific to Brazil's vaccination 
procedures. It was stated that Brazil's reported 77 to 99 percent 
vaccination rate is inadequate for preventing the spread of FMD, that 
not all Brazilian States vaccinate, and that the lowest vaccination 
rate in the exporting region is in Mato Grosso, which has the country's 
highest cattle population. It was suggested, as noted above, that FMD 
could spread in Brazil through contaminated vaccines or escapes of the 
virus from vaccine production facilities. In addition, one commenter 
expressed concern about the qualifications of some individuals 
administering vaccinations in Brazil, noting that farmers may vaccinate 
their own animals or hire professionals who do not have to be 
registered with or accredited by the Brazilian Government to do the job 
for them.
    In Brazil, vaccination is used to prevent the transmission of the 
FMD virus in the event that the disease were to be introduced in the 
region. Vaccination of cattle and buffalo is required in the exporting 
region. The aim of the vaccination program is to immunize at least 80 
percent of bovines in a region in order to provide the protection and 
herd immunity needed to stop the spread of disease. While our risk 
assessment indicated that there was 76 percent coverage of bovines 
under 12 months of age in Mato Grosso, the much higher vaccination 
rates for bovines over that age, which represent most of the bovine 
population in the State, means that the overall vaccination rate there 
well exceeds 80 percent. More recent data described in a peer reviewed 
Journal, indicates that the vaccination coverage in Brazil as a whole 
exceeded 95 percent during the 2007-2011 (http://dx.doi.org/10.1098/rstb.2012.0381). All FMD vaccines produced or used in Brazil must 
follow OIE guidelines, including being tested for quality and safety by 
government officials. APHIS did not detect any evidence to suggest that 
unacceptable biologics or vaccines are being used in Brazil. 
Vaccination records are verified by local veterinary unit (LVU) 
personnel and may also be verified by field inspectors visiting 
individual premises. Despite the fact that Brazilian State or

[[Page 37926]]

Federal personnel do not physically observe all vaccinations, records 
in LVU offices that were reviewed by APHIS indicated that vaccination 
coverage was quite complete, reaching almost 100 percent.
    Many commenters expressed concern about Brazil's disease-testing 
and reporting standards, citing delays in reporting a 2010 case of 
bovine spongiform encephalopathy (BSE) and in conducting the required 
testing in the wake of the detection and sending the OIE lab samples. 
It was also noted that during the time between the discovery of the 
case and the reporting of it, Brazil continued shipping processed meat 
to the United States.
    APHIS agrees that the delays in the testing and reporting of the 
atypical BSE case detected in Brazil were problematic. Representatives 
of APHIS and the U.S. Department of Agriculture's Food Safety and 
Inspection Service (FSIS) visited Brazil in February 2013 to evaluate 
the BSE laboratory infrastructure, emergency response capabilities, and 
BSE-related mitigations at the slaughter level. In addition, as a 
result of the delays in testing and reporting of this case, MAPA 
conducted audits of the laboratories to identify areas for change and 
improvement and subsequently implemented several new procedures to 
assure the timely testing of samples and reporting of results. These 
included the addition of a second laboratory to conduct 
immunohistochemistry tests, the expansion of testing capabilities, and 
the development of an inter-laboratory data management system to issue 
reports, record improper samples, and flag delays in sample receipt, 
completion, and notification of test results.
    To evaluate Brazil's FMD-related laboratory capabilities, APHIS' 
risk assessment included site visits to various diagnostic laboratories 
in Rio Grande do Sul, Par[aacute], Recife, and Pernambuco in 2002, 
2008, and 2013. Based on those visits, APHIS concluded that Brazil has 
the diagnostic capability to adequately test samples for the presence 
of the FMD virus. Staffing was sufficient at the facilities, and staff 
members were well-trained and motivated. Laboratory equipment was 
adequate for diagnosing FMD, and quality control activities included 
routine monitoring and calibrating of the equipment. The tests used to 
investigate evidence of viral activity were consistent with OIE 
guidelines. The laboratories also had effective and efficient 
recordkeeping systems for storage and retrieval of data, and were able 
to turn samples around quickly.
    Some commenters claimed that Brazil has failed to report detections 
of FMD within its cattle population and, therefore, could not be relied 
upon to report such detections in the future.
    We disagree with the commenters. During the FMD outbreaks in 2005 
and 2006, MAPA demonstrated that it has the capability to detect 
disease quickly, limit its spread, and report promptly. FMD cases were 
quickly identified, the disease was contained, and international 
authorities were notified in a timely manner. Further, as stated in our 
risk assessment, we did not detect any evidence to suggest that active 
outbreaks of FMD exist in the export region. Despite occasional 
outbreaks of FMD in Brazil and in neighboring countries of South 
America, APHIS considers the disease to be under control in the export 
region.
    It was also noted that the protocols in place for reporting disease 
within Brazil depend on self-reporting by producers, which some 
commenters view as an unreliable method.
    While passive disease surveillance in Brazil relies on self-
reporting, producers, veterinarians, and others are required by law to 
report clinical signs of FMD to veterinary authorities. Failure to 
comply with FMD reporting requirements may result in penalties or 
fines.
    Many commenters, noted that the exporting zone in Brazil borders 
FMD-affected regions, including the affected zone in Brazil, as well as 
Paraguay, Bolivia, and Argentina, and is not separated from all those 
regions by physical or geographic barriers. Commenters pointed out that 
there has been a history of FMD incursions in Brazil from neighboring 
countries and that as long as FMD remains endemic in South America, the 
possibility of reintroduction from those neighboring countries exists. 
Concerns were expressed about the adequacy of Brazil's border control 
measures. Commenters stated, among other things, that Brazil's border 
with Peru is not fixed and secure, that Brazil does not effectively 
control cattle coming in from Paraguay, and that there have been 
eyewitness accounts of unmanned Brazilian border inspection posts. A 
commenter stated that there was a discrepancy between our risk 
assessment and our environmental assessment in the way we characterized 
the physical barriers between the exporting region and affected regions 
and the possibility of virus transmission across those barriers. It was 
stated in the environmental assessment that some areas that APHIS 
regards as barriers could actually be wildlife disease reservoirs, but 
that the risk assessment contained no such statement.
    In the risk assessment, we discussed the disease status of regions 
adjacent to the export region, the separation of those regions from the 
export region, and border controls. As noted in both that document and 
the environmental assessment, the exporting region has many natural 
barriers, such as large rivers, mountains, forests, and semiarid areas, 
along its international and internal borders. Even in relatively remote 
frontier areas, where there may be less surveillance and monitoring 
than in more populous ones, those geographic barriers restrict animal 
movement and human traffic, thereby preventing the spread of disease. 
In addition, Brazil collaborates with neighboring countries to 
harmonize FMD-related programs and restrictions. Mechanisms have been 
established to provide for immediate notification between these 
countries if an outbreak occurs. High-risk surveillance areas have been 
established on Brazil's borders with Argentina and Paraguay. 
Additionally, as discussed in greater detail below, research has 
determined that wildlife has not played a significant role in the 
maintenance and transmission of FMD in South America. We have added a 
statement to that effect to the environmental assessment, under the 
heading ``Regulatory Control of FMD.''
    One commenter suggested that we add to the final rule a requirement 
for a geographic buffer zone, i.e., a disease-free area, surrounding 
the export region. The commenter did not specify whether such a zone 
should apply to adjacent areas in Brazil or neighboring countries, or 
both.
    Some of the same natural barriers, described above, that separate 
Brazil from neighboring countries also are present along the boundaries 
between the export region and other Brazilian States. Brazil's national 
FMD program provides for surveillance and reporting in the exporting 
area as well as in the adjacent Brazilian States. Buffer zones are 
already employed under Brazil's FMD program in areas where no natural 
barriers exist, along with enhanced border patrols. In addition, 
APHIS's site-visit team did not find any laboratory evidence that FMD 
currently exists anywhere in Brazil.
    Some commenters stated that uncontrolled or inadequately controlled 
movement of wildlife in South America generally, and countries 
bordering Brazil in particular, may pose a risk of spreading FMD into 
the exporting zone of Brazil.

[[Page 37927]]

    Although several South American wild animal species are susceptible 
to FMD, research into FMD in South America has determined that wildlife 
populations, including feral swine, do not play a significant role in 
the maintenance and transmission of FMD. During outbreak situations, 
wildlife may become affected by FMD; however, the likelihood that they 
would become carriers under field conditions is rare. Therefore, it is 
unlikely that FMD would be introduced into the exporting region through 
movement of infected wildlife. Further, Brazil's biosecurity measures, 
surveillance activities, and response capabilities, which we evaluated 
in our risk assessment, would mitigate the already low risk of the FMD 
virus spreading from wildlife to livestock in the exporting region of 
Brazil.
    One commenter stated that Brazil is OIE certified as FMD free in 
just 2 of 26 States and relaxed its vaccination regimen almost 2 years 
ago.
    The OIE currently recognizes the Brazilian State of Santa Catarina 
as FMD-free without vaccination. In addition, however, the OIE 
recognizes States and zones within Brazil as FMD-free with vaccination. 
The area so recognized by the OIE, which largely coincides with part of 
the APHIS exporting region, may be viewed on the OIE Web site at http://www.oie.int/animal-health-in-the-world/official-disease-status/fmd/list-of-fmd-free-members/.
    A commenter stated that beef from Brazil may not meet Canada's 
import requirements and therefore could not be commingled with U.S. 
beef being shipped to Canada. The commenter expressed concern that U.S. 
beef exporters wishing to export beef to Canada could be negatively 
affected as a result of this rule.
    The commenter's statement is correct but is not germane to the 
current rulemaking. Brazil does not export beef to Canada. U.S. 
exporters wishing to export beef to Canada have a legal obligation to 
meet that country's requirements by not commingling beef that is 
eligible for export to Canada, with beef that is not.
    Some commenters questioned the efficacy of Brazil's internal animal 
movement controls. Noting that greater market opportunities and the 
resulting higher prices offered in the export region might foster 
illegal animal movements into that region from affected regions in 
Brazil, commenters questioned whether there were sufficiently stringent 
procedures in place in Brazil to restrict such movements. It was 
further stated that a European Commission (EC) audit found deficiencies 
in those controls. Some commenters also stated that Brazil does not 
require animal identification and that its voluntary traceability 
program and applies only to cattle whose meat is intended for countries 
that require traceability from birth, which the United States does not. 
That group of commenters included the Government of Nicaragua, which 
suggested that Brazil's ``unreliable'' traceability system could hinder 
its response to an outbreak of FMD, potentially allowing the disease to 
spread to other countries. One commenter expressed some doubt as to 
whether Brazil's traceability system, even if relatively effective, 
could aid in combatting an FMD outbreak, since traceability was not 
documented as effective in combatting FMD outbreaks in the United 
Kingdom.
    We do not agree with these comments. Based on our review of the 
veterinary infrastructure in Brazil, we determined that MAPA, which 
oversees animal movement within the country, has the legal authority, 
technical capabilities, and personnel to implement the FMD program 
within Brazil. Movement controls in Brazil are stringent. As described 
in the risk assessment, MAPA requires that all cattle owners identify 
their animals with a unique brand. Sheep and swine are identified by a 
brand in the ear. Each LVU keeps a registry of brands and a complete 
registry of the cattle holdings in the region, with animal populations 
listed by age group and sex. The registry of holdings is updated at 
least twice per year, during the vaccination period, or when the 
animals are moved to another place. The LVU must issue an animal 
movement permit (GTA), which is required whenever animals are moved. 
The staff of the LVU is responsible for verifying that the vehicle 
transporting the animals has been cleaned and disinfected as required 
by law. A copy of the GTA is sent to the destination. Any inspection 
associated with animal movement involves checking the documents and 
verifying the animal information, as well as clinical observation of 
animal health. The EC Food and Veterinary Office (FVO) audits conducted 
in 2012 and 2013 found that post-mortem inspection were carried out in 
line with the EU requirements, that FMD related mitigation were 
conducted appropriately, and that Hazard Analysis Critical Control 
Points plans including traceability and maturation were implemented and 
verified by the veterinary authority were found to be satisfactory. In 
its most recent audit, conducted in October 2014, the EC FVO reported 
that that FMD-related requirements were met, and that Brazilian 
officials were able to demonstrate full traceability to farms of 
origin.
    Other commenters expressed broader concerns about Brazil's disease-
control activities, highlighting occasions when, the commenters 
suggested, Brazil may have failed to comply with safety standards. It 
was stated that, in the past, Brazil has failed to maintain equivalent 
safety standards for cooked products exported to the United States, 
causing FSIS to suspend imports of such products, that FSIS has not 
allowed imports from Santa Catarina, which we recognize as FMD-free, on 
the grounds that Brazil's microbiological and residue testing programs 
are deficient, and that repeated audits by FSIS and the EC have shown a 
failure on Brazil's part to promptly institute and maintain corrective 
action for deficiencies noted in previous audits. Commenters suggested 
that the results of those audits indicate that Brazil lacks either the 
willingness or the infrastructure to execute the consistent management 
controls needed to sufficiently mitigate the risk of the introduction 
of FMD into the United States through the importation of fresh beef. 
One commenter suggested that there was a dearth of veterinarians in 
Brazil who had the necessary training and expertise to manage a 
national FMD program.
    As discussed in the risk assessment, APHIS evaluated the veterinary 
infrastructure of Brazil and concluded that MAPA has a system of 
official veterinarians and support staff in place for carrying out 
field programs and implementing import controls and animal quarantine. 
Additionally, MAPA has sufficient legal authority to carry out official 
control, eradication, and quarantine activities. We also determined 
that Brazil's technical infrastructure was adequate for rapid detection 
of FMD and for carrying out surveillance and eradication programs and 
that advanced technologies are utilized in conducting several animal 
health programs. Import controls are sufficient to protect 
international borders at principal crossing points.
    A number of commenters expressed misgivings about Brazil's 
slaughter-plant procedures. It was suggested that Brazilian slaughter 
plants may be deficient on both sanitary and humane grounds. One 
commenter expressed doubt that, given Brazil's previous compliance 
issues, APHIS can be certain that beef imported from Brazil would have 
the lymph nodes removed in all cases, as required under this 
rulemaking. One commenter stated that if a pH meter at a Brazilian 
slaughter

[[Page 37928]]

plant is faulty, infected beef may be exported to United States.
    The commenters did not present specific evidence regarding 
deficiencies on sanitary or humane grounds at Brazilian slaughter 
plants. APHIS evaluated Brazil's ability to carry out slaughter-related 
mitigation measures, including ante-mortem and postmortem inspections 
and deboning and removal of lymph nodes from beef carcasses. We 
concluded that MAPA will be able to enforce compliance with our 
inspection and slaughter-plant processing procedures. Our assessment of 
Brazil's veterinary system included an evaluation of the likelihood of 
compliance with the pH requirement. Brazilian authorities monitoring 
slaughter plants calibrate the pH meters frequently. Beef that does not 
reach the required pH is not allowed to be exported to the United 
States and is diverted to the Brazilian domestic market.
    A few commenters expressed BSE-related concerns about importing 
fresh beef from Brazil. One commenter stated that some countries have 
banned or restricted beef imports from Brazil due to concerns about 
safety, particularly regarding BSE. Another commenter questioned 
whether Brazil tests for E. coli and BSE.
    These comments are beyond the scope of the present rulemaking, 
which contains FMD-related import restrictions. The risk assessment 
supporting the rulemaking specifically examined the potential risk of 
introducing FMD into the U.S. cattle population by allowing imports of 
fresh beef from Brazil under certain conditions. We would note, 
however, that the OIE currently recognizes Brazil as a negligible-risk 
country for BSE, a designation APHIS concurred with in a notice \2\ 
published in the Federal Register on October 1, 2014 (79 FR 59207-
59208, Docket No. APHIS-2013-0064). Should circumstances arise that 
would dictate a change in Brazil's BSE classification to a less 
favorable one, APHIS would require BSE mitigations for imports of beef 
as appropriate to the adjusted risk classification.
---------------------------------------------------------------------------

    \2\ To view the notice and the comments we received, go to 
http://www.regulations.gov/#!docketDetail;D=APHIS-2013-0064.
---------------------------------------------------------------------------

    Some commenters, citing what they characterized as Brazil's spotty 
record of compliance with safety standards, recommended that APHIS 
consider the development of an ongoing oversight protocol, beyond the 
usual port-of-entry testing, to monitor Brazil's compliance with our 
required risk mitigation measures. It was stated that APHIS has not 
adequately described how it will continue to provide oversight and/or 
monitor Brazil's animal health infrastructure indefinitely, to ensure 
that the country will maintain adequate controls to prevent the spread 
of FMD from other regions of Brazil or from neighboring countries to 
the exporting area.
    The regulations in Sec.  92.2 provide for such monitoring of 
regions after we recognize them for animal health status. We may 
require such a region to submit additional information pertaining to 
its animal health status and may also conduct additional site visits or 
other information collection activities in order to monitor the 
region's continued compliance with our requirements.
    As discussed in greater detail below in the section pertaining to 
issues raised regarding our risk assessment, the findings from that 
assessment led us to conclude that the most likely pathway of exposure 
of domestic livestock to the FMD virus in beef was through feeding of 
contaminated food waste to swine. A commenter representing the pork 
industry questioned whether APHIS has current data regarding the level 
of biosecurity, security, veterinary care, routine health observations, 
and knowledge of disease reporting pathways in garbage-fed populations 
in Brazil. According to the commenter, such data are necessary to meet 
the goal of a foreign animal disease preparation and response plan. The 
commenter further enquired about the level of confidence APHIS has 
regarding the education provided to licensed garbage feeders and 
whether biosecurity and veterinary care protocols and disease reporting 
procedures are being followed in Brazil.
    Licensed garbage feeders are generally provided with education by 
MAPA during routine inspections by Brazilian animal health regulatory 
staff on topics including the importance of proper cooking, signs of 
foreign animal diseases, appropriate biosecurity measures, etc. 
Mandatory inspections conducted by MAPA at least quarterly provide 
confidence in the ability of licensed garbage feeding operations to 
maintain biosecurity and reporting requirement protocols. Demonstration 
of adequate facilities and equipment is a requirement for obtaining and 
maintaining licensure.
    One commenter cited the refusal of countries other than the United 
States whose producers are represented under the Five Nations Beef 
Alliance to accept Brazilian beef as a reason for not allowing it to be 
imported into the United States. The Five Nations Beef Alliance 
consists of the national beef cattle producers' organizations of 
Australia, Canada, Mexico, and New Zealand--our top livestock trading 
partners--as well as the United States. The commenter recommended that 
no Brazilian beef be imported into the United States until all the 
members of the Five Nations Beef Alliance decide that such imports are 
safe.
    We do not agree with this comment. The Five Nations Beef Alliance 
is an industry association that lobbies on behalf of the beef industry 
in support of its economic interests. Our international trade 
agreements permit us to impose only those sanitary and phytosanitary 
measures necessary to protect human, animal, or plant life or health on 
the basis of scientific principles and evidence. We cannot take such 
actions for economic reasons alone or on the basis of the actions of 
industry associations.
    Some commenters stated that any beef we import from Brazil should 
be labeled as such, thus enabling U.S. consumers to make informed 
decisions regarding their beef purchases.
    Country of origin labeling is already required under the 
Agricultural Marketing Service regulations in 7 CFR part 65.
    A commenter stated that there was a lack of information on disease 
serotypes and strains outside the export zone.
    APHIS disagrees with the commenter. In our risk assessment, under 
Factor 3, ``Disease Status of Adjacent Regions'' (pp. 23 to 29), we 
describe FMD outbreaks that occurred in the countries and Brazilian 
States adjacent to the export area, including the serotypes involved in 
the outbreaks over the last 10 years.

Risk Assessment

    A large number of commenters voiced reservations about both the 
methodology we used to conduct our risk assessment of the proposed 
exporting region of Brazil and the conclusions we reached in that 
document.
    Some commenters noted that, in the past, APHIS has characterized 
other countries, (e.g., Argentina, Japan, and South Korea), as low-risk 
countries for FMD, and that, soon after we did so, outbreaks of the 
disease occurred in those countries.
    Because disease situations are fluid and no country, not even the 
United States, can guarantee perpetual freedom from a disease, APHIS' 
risk analyses consider whether a country can quickly detect, respond, 
and report changes in disease situations. In our evaluation, conducted 
according to the factors identified in Sec.  92.2, ``Application for

[[Page 37929]]

recognition of the animal health status of a region,'' we concluded 
that the specified region of Brazil has the legal framework, animal 
health infrastructure, movement and border controls, diagnostic 
capabilities, surveillance programs, and emergency response systems 
necessary to detect, report, control, and manage FMD outbreaks.
    As a member of OIE, Brazil is obligated to immediately notify the 
organization of any FMD outbreak or other important epidemiological 
event. The notification must include the reason for the notification, 
the name of the disease, the affected species, the geographical area 
affected, the control measures applied, and any laboratory tests 
carried out or in progress.
    Upon notification of an FMD outbreak in the exporting region of 
Brazil, APHIS would implement critical prevention measures to respond 
to the outbreak, including alerting U.S. Customs and Border Protection 
inspectors at all ports of entry. Because Sec.  94.29(b) requires that 
FMD must not have been diagnosed in the exporting region within the 
past 12 months, fresh beef from the region would no longer meet our 
requirements, and we would immediately stop importation.
    Some commenters questioned the methodology we employed for the site 
visits to Brazil. It was claimed that there is no obvious evidence of 
any established protocol or methodology to allow for consistency and 
assurance in the quality of the APHIS site visit reviews and that 
documentation pertaining to the visits was lacking or unavailable for 
public review. According to one commenter, documents pertaining to the 
specific methodology and measurements used during the site visits to 
support the qualitative risk assessment should have been available for 
the public to review. It was stated that without sufficient 
documentation, there was no way to distinguish between data obtained 
from the site visits and data supplied by the Government of Brazil. It 
was recommended that APHIS develop a protocol, which it should make 
available to the public, to be used for site visits so that our 
assessments can be analyzed and summarized more objectively.
    APHIS' site visits consist of an in-depth evaluation of the eight 
factors identified in Sec.  92.2 (scope of the evaluation being 
requested, veterinary control and oversight, disease history and 
vaccination practices, livestock demographics and traceability, 
epidemiological separation from potential sources of infection, 
surveillance, diagnostic laboratory capabilities, and emergency 
preparedness and response) as factors to consider in assessing the risk 
of transmission of an animal disease to U.S. livestock via the 
importation of animals or animal products from a foreign region. Risk 
factors are identified from the information gathered on these topics, 
and applicable mitigations are discussed. The regulations in Sec.  92.2 
are publically available at: http://www.thefederalregister.org/fdsys/pkg/FR-2012-07-27/html/2012-18324.htm. Further information on site visits is available 
in a guidance document regarding APHIS' approach to implementing its 
regionalization process and the way in which APHIS applies risk 
analysis to the decisionmaking process for regionalization. This 
document is available to the public at: http://www.aphis.usda.gov/import_export/animals/downloads/regionalization_process.pdf.
    Our five site visits to Brazil, conducted in 2002, 2003, 2006, 
2008, and 2013, included visits to Federal, State, and local veterinary 
offices, farms, border control stations, and diagnostic laboratories. 
The findings from these visits are discussed thoroughly in the risk 
assessment document. As noted in that document, the scope of the 2002 
site visit included verification of FMD outbreak controls, an overview 
of the surveillance program and laboratory capabilities, vaccination 
practices and eradication activities, and movement and border controls. 
The focus of the 2003 site visit was to collect data that APHIS used in 
its risk assessment. The focus of the 2006 site visit was to evaluate 
the FMD situation following the 2005-2006 outbreak in Paran[aacute] and 
Mato Grosso do Sul. The focus of the 2008 visit was to evaluate the 
Brazilian State of Santa Catarina for freedom from classical swine 
fever, FMD, African swine fever, and swine vesicular disease. Finally, 
the scope of the 2013 visit included the evaluation of the FMD 
diagnostic capabilities, FMD laboratories, and vesicular disease 
emergency response.
    Another issue raised in regard to our site visits was that not all 
of the factors for animal health status were reviewed during each of 
the site visits by APHIS. It was stated that because each site visit 
had a different focus, some of the information our site-visit teams 
obtained may now be out of date. For example, one commenter claimed 
that some risk factors associated with the importation of beef from 
Brazil, such as movement and border controls, appeared not to have been 
verified through site visits since the 2002 visit.
    Even though a site visit may have a particular focus, all factors 
are evaluated during each visit, with emphasis on changes implemented 
since the previous one. Any observed changes in risk are noted in the 
risk assessment. If no changes are noted, then no changes are made to 
that factor in the risk assessment, and the original date for which 
risk was described is maintained. In the example noted below, movement 
and border controls were verified in site visits subsequent to 2002. 
However, since no significant changes were noted in risk, the 2002 date 
was retained to indicate when the initial observation was made.
    Some commenters viewed the documentation supporting our risk 
assessment as insufficient. It was further noted that some of those 
supporting documents were in Portuguese. As a result, according to the 
commenters, transparency was lacking regarding our research methodology 
and the manner in which we arrived at our conclusions. It was also 
claimed that the documents we did make available lacked consistency and 
evidence of verification of our findings.
    All of the documents that were provided by the Government of Brazil 
have been shared with stakeholders who requested them. APHIS 
acknowledges that some of the documents used as references in the risk 
analysis were submitted to APHIS in Portuguese; however, APHIS 
personnel involved in the evaluation had sufficient language skills to 
read those documents without requiring that they be translated into 
English. In addition, in most instances, the same or related data were 
provided in other documents or verbally presented to APHIS during site 
visits. The information provided by Brazil and the conclusions reached 
are thoroughly described in the risk analysis that was made available 
for public review and comment.
    Some commenters stated that APHIS should prepare a quantitative 
risk assessment for beef from Brazil and make it available for public 
review. Commenters took the position that the qualitative risk 
assessment methodology that we employed is too subjective because it 
fails to quantify objectively the probability of risk and adequately 
assess the magnitude of the consequences of a disease outbreak. Noting 
that APHIS prepared a quantitative risk assessment in 2002 in support 
of the rulemaking allowing the importation of fresh beef from Uruguay, 
commenters questioned why APHIS chose to prepare only a qualitative 
risk assessment for Brazil.

[[Page 37930]]

    Most of APHIS' risk analyses for FMD have been, and continue to be, 
qualitative in nature. APHIS believes that, when coupled with site 
visit evaluations, qualitative risk analyses provide the necessary 
information to assess the risk of the introduction of FMD through 
importation of commodities such as fresh beef. Quantitative risk 
analysis models may not be the best tool to use to assess the risk of 
FMD posed by exports from a country, such as in cases where the types 
of data required by such models are either unavailable or suffer from a 
high level of parameter uncertainty. In these instances, APHIS' 
approach is to characterize the risk of outbreak qualitatively in order 
to determine what appropriate measures to implement in order to 
mitigate the risk posed to the United States in the event of an 
outbreak in the exporting country (e.g., maturation and pH of beef, no 
diagnosis of FMD in the previous 12 months).
    Some commenters raised issues regarding the scope of our risk 
assessment. It was stated that the release assessment, exposure 
assessment, and consequence assessment appeared to be incomplete with 
regard to the necessary steps and requirements described in the OIE 
Terrestrial Animal Health Code.
    We conducted the risk assessment guided by Chapter 2.1 of the OIE 
Terrestrial Animal Health Code, ``Import Risk Analysis.'' The Code 
recommends that risk assessments include four steps: An entry 
assessment, an exposure assessment, a consequence assessment, and an 
overall risk estimation based on the data compiled in the previous 
three steps. A description of each of those steps is included. In 
conducting our risk assessment of Brazil, we followed the steps listed 
in the OIE Terrestrial Animal Health Code. Where there are differences 
between APHIS' methodology and that described by the OIE, they have 
more to do with terminology than methodology. For example, we refer to 
what the OIE terms the entry assessment as a release assessment.
    Some commenters did not view the eight factors listed Sec.  92.2 as 
sufficiently comprehensive for conducting a risk assessment, suggesting 
that we should have relied on the OIE guidelines instead.
    We did evaluate Brazil using the factors listed in Sec.  92.2. 
These factors, however, are essentially the same as the factors listed 
in Chapter 1.6 of the OIE Terrestrial Animal Health Code. Both Sec.  
92.2 and the OIE Code provide for the evaluation of a region seeking 
recognition for a disease status on the basis of, among other things, 
the region's veterinary infrastructure, disease history, geographical 
separation from affected regions, diagnostic and surveillance 
capabilities, and emergency response planning. Both the OIE Code and 
Sec.  92.2 require the requesting region to provide the same 
documentation.
    In contrast to the comments discussed above, one commenter 
criticized our risk assessment methodology on the grounds that we 
granted too much deference to the OIE guidelines, thus violating our 
statutory mandate to protect U.S. livestock.
    We do not agree with this comment. As noted above, the OIE 
evaluation criteria and those in Sec.  92.2 essentially cover the same 
topics. In addition, the site visits we conduct as part of our risk 
assessment process enable us to verify the requesting country's disease 
status and its ability to maintain that status and to control outbreaks 
if they occur.
    Commenters also took issue with the release assessment for 
suggesting that wildlife does not play a significant role in the 
transmission of FMD. It was claimed that the statement lacked support 
in the scientific literature.
    The epidemiology of the disease in South America over time and the 
information provided in the surveillance section of the risk assessment 
clearly demonstrate that the role of wildlife in disease transmission 
in the area under consideration is insignificant. Many decades of 
experience with the disease have shown no consistent relationship 
between outbreaks in domestic animals and coexistence of susceptible 
wild animals in South America. In addition, results of repeated 
serological testing focusing on cattle as the most susceptible species 
do not reveal evidence of viral activity in domestic ruminants that are 
likely to contact wild animals. If wild animals were carriers or 
reservoirs of FMD, evidence of viral activity would be expected in 
domestic species coexisting in the same regions as infected wild 
animals.
    Some commenters also claimed that the biological pathways for the 
release of pathogens were not described clearly in the release 
assessment.
    We address biological pathways for the release of the FMD virus in 
the exposure assessment, which we discuss in greater detail below.
    Commenters stated that our exposure assessment identified only a 
single exposure pathway: The feeding of FMD-contaminated beef to 
susceptible animals. It was stated that the exposure assessment 
included no discussion of any alternative exposure pathways for FMD, 
such as illegal imports and backyard pig feeding. It was further stated 
that the exposure assessment should have focused on the effects of 
plate waste or manufacturing waste processing for swine feeding on the 
survival of FMD virus.
    There is a general scientific understanding on the main pathway of 
FMD exposure via the importation of fresh beef. This pathway is through 
the feeding of food waste to swine. The likelihood of exposure of FMD-
susceptible species to FMD-infected beef was evaluated by reviewing 
previous studies we conducted. In 1995, we conducted a pathway analysis 
to estimate the likelihood of exposing swine to infected waste. With 95 
percent confidence, we estimated that 0.023 percent or less of plate 
and manufacturing waste would be inadequately processed prior to 
feeding to swine. Based on this percentage, less than 1 part in 4,300 
of imported beef fed to swine as plate or manufacturing waste is likely 
to be inadequately cooked. The findings of a 2001 APHIS survey, which 
showed a substantial reduction in waste-feeding operations, further 
indicated that the risk of FMD exposure via feeding of contaminated 
waste to swine was continuing to decline.
    Some commenters stated that that the pork industry has undergone 
significant changes since we conducted the 1995 risk analysis and 2001 
survey cited above. A commenter representing a national pork producers' 
association questioned the validity of our 1995 pathway analysis in 
particular, stating that the findings are outdated and incomplete. 
Other commenters also expressed skepticism that the 1995 analysis and 
the 2001 survey adequately reflect the current risk to the U.S. pork 
industry of the introduction of FMD into the United States through 
garbage feeding. It was suggested that APHIS needs to consider 
obtaining updated scientific data, independent of the 2001 APHIS waste-
feeder survey, in order to better verify the exposure assessment for 
FMD presented in the risk analysis.
    APHIS acknowledges that the pork industry in general has undergone 
significant changes since 1995; however, the garbage-feeding industry 
in particular, which we discuss in greater detail immediately below, 
has not. In that discussion, we elaborate on our reasons for our 
confidence that the 1995 risk analysis and 2001 survey adequately 
reflect the current risk to the U.S. pork industry from the feeding of 
contaminated food waste to swine.
    One commenter stated that, according to APHIS reports to the U.S. 
Animal Health Association's Transmissible Diseases of Swine Committee, 
from

[[Page 37931]]

2009 to 2013, a number of unlicensed garbage feeders were found each 
year by State and Federal animal health authorities. The commenter 
asked if APHIS has any supporting information that estimates the number 
of unlicensed garbage-feeding facilities.
    Procedures for the handling, processing, and feeding of food waste 
to swine in the United States are subject to our swine health 
protection regulations in 9 CFR part 166. Compliance with the 
regulations has improved in recent years, thereby reducing the 
probability of survival of FMD virus in the food waste. Searches for 
non-licensed garbage feeding facilities are regularly conducted using 
several different techniques as part of the duties of APHIS animal 
health staff, as well as State animal health and other State agency 
staff. When unlicensed garbage feeding facilities are identified, the 
unauthorized activity is documented, and the facility is brought into 
compliance. Depending on the State, all swine on such premises may be 
quarantined and tested for foreign animal diseases. Information on the 
number of inspections conducted to detect unlicensed garbage feeding 
facilities, the number of unlicensed facilities identified, and 
resolution of cases resulting from such identification are captured at 
the State level and evaluated by APHIS on a regular basis. Given the 
regular monitoring of these facilities and their relatively small 
number, we stand by the conclusions we reached in our 1995 risk 
analysis.
    A commenter stated that our consequence assessment should have 
focused on the specific commodity to be imported, as outlined in the 
scope of the risk assessment.
    The consequence assessment did examine at some length the possible 
economic consequences for the cattle industry, as well as other 
livestock industries, that could result from an outbreak of FMD in the 
United States.
    Commenters took issue with the methodology we used for evaluating 
the efficacy of Brazil's movement and border controls. As noted in the 
risk assessment, APHIS assumes that, if the riskiest pathways are 
sufficiently mitigated, then the overall spectrum of risk issues should 
be acceptable. The commenters viewed that assumption as unwarranted.
    We do not agree with this comment. APHIS tries to target the 
riskiest border crossings (and other areas) during site visits as 
examples of a type of ``maximized risk scenario'' in order to address 
similar, but theoretically lower, risks in the remainder of the export 
region. Using this assumption and visiting the areas of highest risk in 
the export region, APHIS concluded that movement control measures for 
live animals are effective at both domestic and international 
checkpoints. The commenters did not present any evidence to support 
their claim that this methodology is flawed.
    A commenter objected to the terminology we used in characterizing 
the FMD risk associated with imports of beef from Brazil. It was stated 
that the characterization of the risk of FMD introduction as ``low'' 
was arbitrary and misleading. The commenter stated that the term 
``low'' actually falls in the middle of the risk spectrum, meaning, in 
the view of the commenter, that the actual risk of FMD introduction 
from Brazil was unacceptably high. The same commenter also stated that 
there was a discrepancy between the risk assessment, which 
characterized the risk as ``low'' and the environmental assessment, 
which characterized the risk as ``extremely unlikely.''
    APHIS disagrees with the commenter. We employ the term ``low'' to 
characterize the risk associated with importing a particular commodity 
when we have determined, based on a risk assessment, that the commodity 
can be safely imported into the United States under certain conditions. 
We base such determinations on our assessment of the exporting region's 
disease-control capabilities, as evaluated in relation to the eight 
factors in Sec.  92.2, and the known efficacy of the risk mitigation 
measures available to us. The statements in the risk assessment and the 
environmental assessment are not contradictory. The environmental 
assessment refers to the risk of introduction of FMD into the United 
States as extremely unlikely. The risk assessment characterizes the 
combined risks of introduction and dissemination of the disease as low.

Economic Analysis

    Many commenters expressed concern about the potentially devastating 
economic effect an outbreak of FMD in the United States could have on 
U.S. cattle producers. It was stated that the potential economic risks 
greatly outweigh the benefits of this rulemaking, and that the economic 
analysis accompanying the December 2013 proposed rule failed to take 
into account those potential costs. Some commenters recommended that we 
revise the economic analysis to account for those potential costs. It 
was suggested that we should perform a comprehensive, up-to-date 
economic analysis to identify consequences for all U.S. commodity 
groups potentially affected by an FMD outbreak.
    It is true that an outbreak of FMD in the United States, whatever 
its source, could have very serious effects on the U.S. cattle 
industry. In the economic analysis accompanying the December 2013 
proposed rule, we analyzed expected benefits and costs of annual 
imports of fresh (chilled or frozen) beef from Brazil averaging 40,000 
metric tons (MT), and found that the expected changes in U.S. beef 
production, consumption, and exports would not be significant. We did 
not report on potential impacts of an FMD outbreak for the U.S. economy 
in the economic analysis accompanying the December 2013 proposed rule 
because, in our view, the risk-mitigation measures required of Brazil, 
which include deboning, maturation for at least 24 hours, and pH 
measurements below 6.0 in the loin muscle, will provide for the safe 
importation of beef from Brazil. The revised economic analysis 
accompanying this final rule, however, does analyze those potential 
impacts. We would further note that in the consequence assessment 
section of our risk assessment, we examined the potential economic and 
other consequences of an FMD outbreak in the United States at some 
length.
    Some commenters also pointed out that an FMD outbreak in the United 
States could result in the loss of export markets for U.S. beef. It was 
further claimed that our economic analysis understated the value of 
those export markets.
    An FMD outbreak would likely result in the loss of U.S. beef export 
markets. However, APHIS is confident that the required sanitary 
safeguards will ensure the safe importation of beef from Brazil as a 
result of this rule. Regarding the value of U.S. beef export markets, 
it can be measured differently depending on the combination of bovine 
products and composite prices used. The value can also vary based on 
how shipping and other transactional expenses may be included in 
reported prices. Commenters may consider the reported value of U.S. 
beef exports to be understated because of differences in product and 
price definitions. Nevertheless, attributing a higher value to U.S. 
beef export markets would not change our conclusion that the rule's 
impact on beef exports, as well as other segments of the beef industry, 
will be minor.
    A commenter stated that allowing imports of beef from Brazil may 
cause a loss of consumer confidence in beef, resulting in a loss of 
profits for U.S. producers.

[[Page 37932]]

    This is a hypothetical statement for which the commenter presents 
no supporting evidence.
    A commenter expressed the view that the rulemaking would depress 
markets for U.S. producers and affect export markets because allowing 
imports from Brazil would facilitate Brazil's access to other 
international markets.
    The question of whether or not allowing Brazilian beef to be 
imported into the United States would facilitate Brazilian producers' 
access to other international markets is beyond the scope of our 
economic analysis. The commenter did not present data that would 
support the proposition that Brazil's beef exports are likely to 
increase so precipitously as a result of this rulemaking that U.S. 
exporters would experience negative effects.
    A commenter expressed the concern that the rulemaking would have 
adverse effects not only on U.S. beef producers but on associated 
industries as well.
    Based on how small the volume of beef we project will be exported 
from Brazil to the United States relative to U.S. beef production, we 
anticipate that both U.S. beef producers and associated industries will 
be affected little, if at all, by this rulemaking.
    Commenters questioned our projections regarding the amount of beef 
likely to be imported from Brazil and also expressed doubts about our 
assumption that Brazilian beef imports will mainly displace other 
imports rather than increasing the total volume of beef imports. It was 
stated that because exporting beef to the United States may be 
profitable for Brazilian producers, they are likely to ship more than 
the 40,000 MT of beef to the United States that we estimated they would 
in an average year.
    Our import projections are based on the data we obtain from 
industry and other sources and the use of published models. In the 
preamble to the December 2013 proposed rule, we noted that we did not 
have all of the data necessary for a comprehensive analysis of the 
effects of the proposed rule on small entities, and we solicited 
comments on the potential effects. Because the commenters did not 
supply information that contradicted the data upon which we relied, 
that called into question the model we used, or that supported in any 
way the suggestion that our projections were inaccurate, we did not 
have cause to revise our projections.
    Another commenter, while agreeing with our projection that 
Brazilian beef imports would most likely displace imports from 
elsewhere, questioned why the rulemaking was necessary if those 
existing imports are not problematic and there is no increased demand 
for beef by U.S. consumers.
    The United States and many other member countries are a part of the 
rules-based international trading system, which has benefitted Members 
through the maintenance of open international markets. Under our 
international trade agreements, we consider requests from countries and 
regions to import their animals and/or animal products. Before such 
requests are granted, we must first assess the risks to U.S. herds 
posed by imports by evaluating the requesting country or region's 
disease status and the efficacy of its risk-mitigation measures. The 
United States' and other WTO Members' international trade obligations 
ensure that decisions regarding market access are based on scientific 
principles and risk assessments. U.S. demand for these products is not 
a part of the consideration of such requests.
    One commenter characterized the proposed rule as a misguided 
attempt to remedy short-term beef price increases. The commenter stated 
that the U.S. cattle herd needs to be rebuilt, but the rulemaking may 
discourage producers from restocking.
    The commenter's statement is a hypothetical one and, as such, 
difficult to evaluate. We did not receive any data from this or other 
commenters that would suggest that the rulemaking would discourage U.S. 
cattle producers from restocking.
    A commenter claimed that the rulemaking would result in a larger 
drop in steer prices than the 0.14 percent we projected in the economic 
analysis supporting the December 2013 proposed rule.
    We arrived at that estimate using results from a published economic 
model.\3\ Had the commenter supplied a different set of substantiated 
data, we could have reevaluated our estimate.
---------------------------------------------------------------------------

    \3\ Paarlberg, Philip L., Ann Hillberg Seitzinger, John G. Lee, 
and Kenneth H. Mathews, Jr. Economic Impacts of Foreign Animal 
Disease. Economic Research Report Number 57. USDA ERS, May 2008.
---------------------------------------------------------------------------

    Some commenters suggested that in the event of an FMD outbreak in 
the United States, APHIS should indemnify or otherwise support U.S. 
cattle producers.
    APHIS' ability to pay indemnities is dependent upon the 
availability of funds. In the past, APHIS has indemnified producers 
whose livestock had to be depopulated as part of disease-eradication 
efforts.
    Some commenters objected to the proposed rule because of what they 
perceived as economic favoritism. Commenters claimed that the 
rulemaking favored meat packers and processors at the expense of 
farmers. It was also asserted that the proposed rule favored Brazilian 
producers at the expense of U.S. producers because U.S. producers would 
not be able to compete on price with their Brazilian counterparts, and 
that, therefore, the rule would have the unintended effect of shrinking 
the U.S. cattle herd and expanding Brazil's.
    We undertook this rulemaking at the request of Brazil and in 
accordance with our international trade agreements. We based this 
rulemaking on the findings of our risk assessment that fresh beef could 
safely be imported into the United States from Brazil under certain 
conditions. We do not believe this rule favors one sector or country 
over another, and the commenters did not provide evidence to support 
their claims.

Miscellaneous Comments

    In addition to the issues already discussed in this document, 
commenters raised a few others that did not fit neatly into any of the 
above categories.
    One commenter recommended that we allow the importation of fetal 
bovine serum from Brazil.
    That comment is beyond the scope of the present rulemaking, which 
concerns the FMD status of Brazil and the importation of Brazilian 
beef.
    Other commenters suggested that the rulemaking may lead to 
deforestation and/or environmental degradation.
    The commenters did not explain how the rulemaking would have those 
effects. USDA prepared an environmental assessment, but the focus of 
the environmental assessment is to evaluate the potential impacts of 
allowing for the importation of fresh, maturated, and deboned beef from 
a region in Brazil into the United States, and not on increased 
deforestation in Brazil.
    One commenter stated that the rulemaking does not comply with our 
statutory obligation to develop rural America.
    The commenter did not cite any particular statute to support the 
claim that we were not meeting our statutory obligations.
    Commenters writing on behalf of an association representing 
Hispanic and Native American livestock producers claimed that the 
rulemaking violates the civil rights and fair trade rights of minority 
livestock producers.
    As we noted in the economic analysis accompanying the December 2013 
proposed rule, we do not anticipate that

[[Page 37933]]

the rulemaking will have a significant economic effect on any livestock 
producers. In the absence of economic or competitive harm, we do not 
see this rule as violating the rights of any group.

Miscellaneous

    We are making an editorial change to Sec.  94.29(a) for the sake of 
clarity. In the December 2013 proposed rule, the paragraph read as 
follows: ``The meat is beef or ovine meat from animals that have been 
born, raised, and slaughtered in the exporting region of Brazil or in 
Uruguay.'' As written, that paragraph could be interpreted to indicate 
that not only beef but also ovine meat could be imported from the 
exporting region of Brazil. Since ovine meat may not be imported from 
Brazil under Sec.  94.29, we have edited the paragraph in this final 
rule to read as follows: ``The meat is: (1) Beef from Brazil derived 
from animals that have been born, raised, and slaughtered in the 
exporting region of Brazil; or (2) Beef or ovine meat from Uruguay 
derived from animals that have been born, raised, and slaughtered in 
Uruguay.''
    Therefore, for the reasons given in the proposed rule and in this 
document, we are adopting the proposed rule as a final rule, with the 
change discussed in this document.

Executive Orders 12866 and 13563 and Regulatory Flexibility Act

    This final rule has been determined to be economically significant 
for the purposes of Executive Order 12866 and, therefore, has been 
reviewed by the Office of Management and Budget.
    We have prepared an economic analysis for this rule. The economic 
analysis provides a cost-benefit analysis, as required by Executive 
Orders 12866 and 13563, which 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, and equity). Executive Order 13563 emphasizes the importance 
of quantifying both costs and benefits, of reducing costs, of 
harmonizing rules, and of promoting flexibility. The economic analysis 
also provides a final regulatory flexibility analysis that examines the 
potential economic effects of this rule on small entities, as required 
by the Regulatory Flexibility Act. The economic analysis is summarized 
below. Copies of the full analysis are available on the Regulations.gov 
Web site (see footnote 1 in this document for a link to 
Regulations.gov) or by contacting the person listed under FOR FURTHER 
INFORMATION CONTACT.
    This analysis examines potential economic impacts of a final rule 
that will allow fresh (chilled or frozen) beef from a designated region 
in Brazil to be imported into the United States provided certain 
conditions are met. Economic effects of the rule for both U.S. 
producers and consumers are expected to be small. Welfare gains for 
consumers will outweigh producer losses, resulting in a net benefit to 
the U.S. economy. APHIS has concluded that the risk of exposing U.S. 
livestock to FMD via fresh beef imports from Brazil is sufficiently low 
so that such imports are safe.
    The United States is the largest beef producer in the world, and 
yet still imports a significant quantity. Annual U.S. beef import 
volumes from 1999 to 2013 averaged 0.9 million MT, equivalent to 11 
percent of U.S. production. Much of the beef imported by the United 
States is from grass-fed cattle, and is processed with trimmings from 
U.S. grain-fed cattle to make ground beef. Australia, Canada, and New 
Zealand are the main foreign suppliers of beef to the United States.
    Effects of the final rule are estimated using a partial equilibrium 
model of the U.S. agricultural sector. Economic impacts are estimated 
based on intra-sectoral linkages among the grain, livestock, and 
livestock product sectors. Annual imports of fresh (chilled or frozen) 
beef from Brazil are expected to range between 20,000 and 65,000 MT, 
with volumes averaging 40,000 MT. Quantity, price, and welfare changes 
are estimated for three import scenarios. The results are presented as 
average annual effects for the 4-year period, 2015-2018.
    A portion of the beef imported from Brazil will displace beef that 
would otherwise be imported from other countries. The model indicates 
that the net annual increase in U.S. fresh beef imports will be 15,894 
MT (79 percent of 20,000 MT) under the 20,000 MT scenario; 32,000 MT 
(80 percent of 40,000 MT) under the 40,000 MT scenario; and 52,654 (81 
percent of 65,000 MT) under the 65,000 MT scenario.
    If the United States imports 40,000 MT of beef from Brazil, total 
U.S. beef imports will increase by 2.8 percent. Due to the supply 
increase, the wholesale price of beef, the retail price of beef, and 
the price of cattle (steer) are estimated to decline by 0.65, 0.26, and 
0.70 percent, respectively. U.S beef production will decline by 0.03 
percent while U.S. beef consumption and exports will increase by 0.2 
and 0.7 percent, respectively. The 20,000 MT and 65,000 MT scenarios 
show similar quantity and price effects.
    The fall in beef prices and the resulting decline in U.S. beef 
production will translate into reduced returns to capital and 
management in the livestock and beef sectors. Under the 40,000 MT 
import scenario, beef processors will experience a decline in surplus 
of $28.85 million or 0.85 percent, while consumers will benefit from 
the decrease in price by an increase in their surplus by $387.50 
million or 1.14 percent. Cattle producers will experience decline in 
welfare of $216.01 million or 8 percent. The overall impact will be a 
net welfare gain of $358.36 million or 1 percent for producers and 
consumers in the beef processing sector. For the combined beef and 
cattle sectors, there will be a $142 million net welfare gain (0.36 
percent net benefit).
    The 20,000 MT and 65,000 MT scenarios show similar welfare impacts, 
with net benefits increasing broadly in proportion to the quantity of 
beef imported. The largest impact will be for the beef sector, but 
consumers of pork and poultry meat sectors will benefit negligibly. 
While most of the establishments that will be affected by this rule are 
small entities, based on the results of this analysis, APHIS does not 
expect the impacts on small entities to be significant.

Executive Order 12988

    This final rule has been reviewed under Executive Order 12988, 
Civil Justice Reform. This rule: (1) Preempts all State and local laws 
and regulations that are inconsistent with this rule; (2) has no 
retroactive effect; and (3) does not require administrative proceedings 
before parties may file suit in court challenging this rule.

National Environmental Policy Act

    An environmental assessment and finding of no significant impact 
have been prepared for this final rule. The environmental assessment 
provides a basis for the conclusion that the importation of fresh beef 
from a region in Brazil under the conditions specified in this rule 
will not have a significant impact on the quality of the human 
environment. Based on the finding of no significant impact, the 
Administrator of the Animal and Plant Health Inspection Service has 
determined that an environmental impact statement need not be prepared.
    The environmental assessment and finding of no significant impact 
were prepared in accordance with: (1) The National Environmental Policy 
Act of

[[Page 37934]]

1969 (NEPA), as amended (42 U.S.C. 4321 et seq.), (2) regulations of 
the Council on Environmental Quality for implementing the procedural 
provisions of NEPA (40 CFR parts 1500-1508), (3) USDA regulations 
implementing NEPA (7 CFR part 1b), and (4) APHIS' NEPA Implementing 
Procedures (7 CFR part 372).
    The environmental assessment and finding of no significant impact 
may be viewed on the Regulations.gov Web site.\4\ Copies of the 
environmental assessment and finding of no significant impact are also 
available for public inspection at USDA, Room 1141, South Building, 
14th Street and Independence Avenue SW., Washington, DC, between 8 a.m. 
and 4:30 p.m., Monday through Friday, except holidays. Persons wishing 
to inspect copies are requested to call ahead on (202) 799-7039 to 
facilitate entry into the reading room. In addition, copies may be 
obtained by writing to the individual listed under FOR FURTHER 
INFORMATION CONTACT.
---------------------------------------------------------------------------

    \4\ Go to http://www.regulations.gov/#!docketDetail;D=APHIS-
2009-0017. The environmental assessment and finding of no 
significant impact will appear in the resulting list of documents.
---------------------------------------------------------------------------

Paperwork Reduction Act

    In accordance with section 3507(d) of the Paperwork Reduction Act 
of 1995 (44 U.S.C. 3501 et seq.), the information collection or 
recordkeeping requirements included in this final rule, which were 
filed under 0579-0414, have been submitted for approval to the Office 
of Management and Budget (OMB). When OMB notifies us of its decision, 
if approval is denied, we will publish a document in the Federal 
Register providing notice of what action we plan to take.

E-Government Act Compliance

    The Animal and Plant Health Inspection Service is committed to 
compliance with the E-Government Act to promote the use of the Internet 
and other information technologies, to provide increased opportunities 
for citizen access to Government information and services, and for 
other purposes. For information pertinent to E-Government Act 
compliance related to this rule, please contact Ms. Kimberly Hardy, 
APHIS' Information Collection Coordinator, at (301) 851-2727.

List of Subjects in 9 CFR part 94

    Animal diseases, Imports, Livestock, Meat and meat products, Milk, 
Poultry and poultry products, Reporting and recordkeeping requirements.

    Accordingly, we are amending 9 CFR part 94 as follows:

PART 94--RINDERPEST, FOOT-AND-MOUTH DISEASE, NEWCASTLE DISEASE, 
HIGHLY PATHOGENIC AVIAN INFLUENZA, AFRICAN SWINE FEVER, CLASSICAL 
SWINE FEVER, SWINE VESICULAR DISEASE, AND BOVINE SPONGIFORM 
ENCEPHALOPATHY: PROHIBITED AND RESTRICTED IMPORTATIONS

0
1. The authority citation for part 94 continues to read as follows:

    Authority: 7 U.S.C. 450, 7701-7772, 7781-7786, and 8301-8317; 21 
U.S.C. 136 and 136a; 31 U.S.C. 9701; 7 CFR 2.22, 2.80, and 371.4.


Sec.  94.1  [Amended]

0
2. In Sec.  94.1, paragraphs (b)(4) and (d), introductory text, are 
amended by removing the words ``from Uruguay''.

0
3. Section 94.29 is revised to read as follows:


Sec.  94.29  Restrictions on importation of fresh (chilled or frozen) 
beef from Brazil and fresh beef and ovine meat from Uruguay.

    Notwithstanding any other provisions of this part, fresh (chilled 
or frozen) beef from a region in Brazil composed of the States of 
Bahia, Distrito Federal, Esp[iacute]rito Santo, Goi[aacute]s, Mato 
Grosso, Mato Grosso do Sul, Minas Gerais, Paran[aacute], Rio Grande do 
Sul, Rio de Janeiro, Rond[ocirc]nia, S[atilde]o Paulo, Sergipe, and 
Tocantins, and fresh (chilled or frozen) beef and ovine meat from 
Uruguay may be exported to the United States under the following 
conditions:
    (a) The meat is:
    (1) Beef from Brazil derived from animals that have been born, 
raised, and slaughtered in the exporting region of Brazil, or
    (2) Beef or ovine meat from Uruguay derived from animals that have 
been born, raised, and slaughtered in Uruguay.
    (b) Foot-and-mouth disease has not been diagnosed in the exporting 
region of Brazil or in Uruguay within the previous 12 months.
    (c) The meat comes from bovines or sheep that originated from 
premises where foot-and-mouth disease has not been present during the 
lifetime of any bovines and sheep slaughtered for the export of beef 
and ovine meat to the United States.
    (d) The meat comes from bovines or sheep that were moved directly 
from the premises of origin to the slaughtering establishment without 
any contact with other animals.
    (e) The meat comes from bovines or sheep that received ante-mortem 
and post-mortem veterinary inspections, paying particular attention to 
the head and feet, at the slaughtering establishment, with no evidence 
found of vesicular disease.
    (f) The meat consists only of bovine parts or ovine parts that are, 
by standard practice, part of the animal's carcass that is placed in a 
chiller for maturation after slaughter. The bovine and ovine parts that 
may not be imported include all parts of the head, feet, hump, hooves, 
and internal organs.
    (g) All bone and visually identifiable blood clots and lymphoid 
tissue have been removed from the meat.
    (h) The meat has not been in contact with meat from regions other 
than those listed under Sec.  94.1(a).
    (i) The meat comes from carcasses that were allowed to maturate at 
40 to 50 [deg]F (4 to 10 [deg]C) for a minimum of 24 hours after 
slaughter and that reached a pH below 6.0 in the loin muscle at the end 
of the maturation period. Measurements for pH must be taken at the 
middle of both longissimus dorsi muscles. Any carcass in which the pH 
does not reach less than 6.0 may be allowed to maturate an additional 
24 hours and be retested, and, if the carcass still has not reached a 
pH of less than 6.0 after 48 hours, the meat from the carcass may not 
be exported to the United States.
    (j) An authorized veterinary official of the government of the 
exporting region certifies on the foreign meat inspection certificate 
that the above conditions have been met.
    (k) The establishment in which the bovines and sheep are 
slaughtered allows periodic on-site evaluation and subsequent 
inspection of its facilities, records, and operations by an APHIS 
representative.

(Approved by the Office of Management and Budget under control 
numbers 0579-0372 and 0579-0414)

    Done in Washington, DC, this 26th day of June 2015.
 Gary Woodward,
Deputy Under Secretary for Marketing and Regulatory Programs.
[FR Doc. 2015-16337 Filed 7-1-15; 8:45 am]
BILLING CODE 3410-34-P



                                                                                                                                                                                                             37923

                                                        Rules and Regulations                                                                                          Federal Register
                                                                                                                                                                       Vol. 80, No. 127

                                                                                                                                                                       Thursday, July 2, 2015



                                                        This section of the FEDERAL REGISTER                     Background                                            individuals. They are discussed below
                                                        contains regulatory documents having general
                                                                                                                    The regulations in 9 CFR part 94                   by topic.
                                                        applicability and legal effect, most of which
                                                        are keyed to and codified in the Code of                 (referred to below as the regulations)                  Note: In our December 2013 proposed rule,
                                                                                                                 prohibit or restrict the importation of               we proposed to amend § 94.22 to allow the
                                                        Federal Regulations, which is published under
                                                                                                                 certain animals and animal products                   importation of fresh beef from Brazil subject
                                                        50 titles pursuant to 44 U.S.C. 1510.
                                                                                                                 into the United States to prevent the                 to the conditions already laid out in that
                                                                                                                                                                       section for the importation of beef and ovine
                                                        The Code of Federal Regulations is sold by               introduction of various animal diseases,              meat from Uruguay. Because that and other
                                                        the Superintendent of Documents. Prices of               including rinderpest, foot-and-mouth                  sections in part 94 have been redesignated
                                                        new books are listed in the first FEDERAL                disease (FMD), African swine fever,                   since the publication of the proposed rule, in
                                                        REGISTER issue of each week.                             classical swine fever, and swine                      this final rule, we are amending § 94.29
                                                                                                                 vesicular disease. These are dangerous                instead.
                                                                                                                 and destructive communicable diseases
                                                        DEPARTMENT OF AGRICULTURE                                of ruminants and swine. Section 94.1 of               General FMD Risk
                                                        Animal and Plant Health Inspection                       the regulations contains criteria for                    Many commenters, citing the highly
                                                        Service                                                  recognition by the Animal and Plant                   contagious nature of FMD, expressed
                                                                                                                 Health Inspection Service (APHIS) of                  the view that we should not allow fresh
                                                        9 CFR Part 94                                            foreign regions as free of rinderpest or              beef to be imported from any country
                                                                                                                 free of both rinderpest and FMD.                      where the disease is present because
                                                                                                                 Section 94.11 restricts the importation               regionalization is not likely to mitigate
                                                        [Docket No. APHIS–2009–0017]                             of ruminants and swine and their meat                 the risks associated with imports
                                                                                                                 and certain other products from regions               effectively. Commenters noted that the
                                                        RIN 0579–AD41                                            that are declared free of rinderpest and              FMD virus can travel up to 60 miles on
                                                                                                                 FMD but that nonetheless present a                    the wind. Commenters also cited bird
                                                        Importation of Beef From a Region in                     disease risk because of the regions’                  fecal matter and people traveling
                                                        Brazil                                                   proximity to or trading relationships                 between affected and non-affected areas
                                                                                                                 with regions affected with rinderpest or              as additional vectors for transmission of
                                                        AGENCY:  Animal and Plant Health                         FMD. Regions APHIS has declared free
                                                        Inspection Service, USDA.                                                                                      the virus.
                                                                                                                 of FMD and/or rinderpest, and regions                    As noted in the risk assessment
                                                        ACTION:   Final rule.                                    declared free of FMD and rinderpest                   accompanying the December 2013
                                                                                                                 that are subject to the restrictions in               proposed rule, we considered the
                                                        SUMMARY:   We are amending the                           § 94.11, are listed on the APHIS Web                  epidemiological characteristics of FMD.
                                                        regulations governing the importation of                 site at http://www.aphis.usda.gov/                    Based on our assessment, we concluded
                                                        certain animals, meat, and other animal                  import_export/animals/animal_disease_                 that beef from the exporting region of
                                                        products by allowing, under certain                      status.shtml.                                         Brazil could safely be imported into the
                                                        conditions, the importation of fresh                        On December 23, 2013, we published                 United States, provided that FMD has
                                                        (chilled or frozen) beef from a region in                in the Federal Register (78 FR 77370–                 not been diagnosed in that region within
                                                        Brazil (the States of Bahia, Distrito                    77376, Docket No. APHIS–2009–0017) a                  the past 12 months, that there is no
                                                        Federal, Espı́rito Santo, Goiás, Mato                   proposal 1 to allow, under certain                    commingling of bovines or beef from
                                                        Grosso, Mato Grosso do Sul, Minas                        conditions, the importation of fresh                  that region with animals or beef from
                                                        Gerais, Paraná, Rio Grande do Sul, Rio                  (chilled or frozen) beef from a region in             other regions prior to export, and that
                                                        de Janeiro, Rondônia, São Paulo,                       Brazil (the States of Bahia, Distrito                 certain additional FMD-mitigation
                                                        Sergipe, and Tocantins). Based on the                    Federal, Espı́rito Santo, Goiás, Mato                requirements, which include removal of
                                                        evidence in a recent risk assessment, we                 Grosso, Mato Grosso do Sul, Minas                     bones and certain tissue and chilling of
                                                        have determined that fresh (chilled or                   Gerais, Paraná, Rio Grande do Sul, Rio               the carcasses until they reach a pH level
                                                        frozen) beef can be safely imported from                 de Janeiro, Rondônia, São Paulo,                    of under 6.0, are met. We evaluated
                                                        those Brazilian States provided certain                  Sergipe, and Tocantins).                              information submitted by Brazil’s
                                                        conditions are met. This action provides                    We solicited comments concerning                   Ministry of Agriculture, Livestock and
                                                        for the importation of beef from the                     our proposal for 60 days ending                       Food Supply (MAPA) and verified the
                                                        designated region in Brazil into the                     February 21, 2014. We reopened and                    accuracy of that information by
                                                        United States while continuing to                        extended the deadline for comments                    conducting site visits. We concluded
                                                        protect the United States against the                    until April 22, 2014, in a document                   that Brazil has the legal framework,
                                                        introduction of foot-and-mouth disease.                  published in the Federal Register on                  animal health infrastructure, movement
asabaliauskas on DSK5VPTVN1PROD with FRONTMATTER




                                                                                                                 February 27, 2014 (79 FR 10999, Docket                and border controls, diagnostic
                                                        DATES:   Effective August 31, 2015.                      No. APHIS–2009–0017). We received                     capabilities, surveillance programs, and
                                                        FOR FURTHER INFORMATION CONTACT:    Dr.                  870 comments by that date. They were                  emergency response capacity to prevent
                                                        Silvia Kreindel, Senior Staff                            from producers, trade associations,                   FMD outbreaks within the boundaries of
                                                        Veterinarian, Regional Evaluation                        veterinarians, representatives of State               the Brazilian export region and, in the
                                                        Services Staff, National Center for                      and foreign governments, and                          unlikely event that one should occur, to
                                                        Import and Export, VS, APHIS, 4700                                                                             detect, control, and eradicate the
                                                        River Road Unit 38, Riverdale, MD                          1 To view the proposed rule, the supporting risk
                                                                                                                                                                       disease. Brazil’s active and passive
                                                        20737–1231; (301) 851–3313.                              assessment, economic analysis, and the comments
                                                                                                                 we received, go to http://www.regulations.gov/        surveillance system would allow for
                                                        SUPPLEMENTARY INFORMATION:                               #!docketDetail;D=APHIS-2009-0017.                     rapid detection. In the event of an


                                                   VerDate Sep<11>2014   23:22 Jul 01, 2015   Jkt 235001   PO 00000   Frm 00001   Fmt 4700   Sfmt 4700   E:\FR\FM\02JYR1.SGM   02JYR1


                                                        37924               Federal Register / Vol. 80, No. 127 / Thursday, July 2, 2015 / Rules and Regulations

                                                        outbreak, in the exporting region, Brazil                meat. In our view, however, the                       demonstrated conclusively by the
                                                        would promptly report findings to the                    additional mitigation measures                        scientific literature. It was claimed that
                                                        World Organization for Animal Health                     contained in this rulemaking, which                   there is no agreed safe threshold level in
                                                        (OIE), and the United States would stop                  include requiring the maturation of the               the literature for FMD virus
                                                        importing beef from Brazil. Our findings                 beef in a chiller until the pH level in the           contamination for deboned beef. It was
                                                        regarding Brazil’s disease-control                       longissimus dorsi is less than 6.0 and                also claimed that scientific information
                                                        capabilities give us confidence that the                 the removal of bovine parts, such as the              is lacking on the amount of residual
                                                        mitigation methods required under this                   head, feet, and internal organs, that are             blood clot, lymph node, and bone tissue
                                                        rulemaking will safely permit the                        associated with a higher FMD risk than                remaining after deboning, which is a
                                                        importation of fresh beef from Brazil.                   muscle tissue will ensure that beef may               concern because, as noted above, FMD
                                                           Some commenters cited FMD’s 14-day                    be safely imported into the United                    virus can survive maturation in the
                                                        incubation period as an additional risk                  States from Brazil.                                   lymph nodes and bone marrow.
                                                        factor. It was suggested that infected                      Some of the comments expressed                     Information was also said to be lacking
                                                        cattle may not exhibit clinical signs of                 reservations about the efficacy of the                on the survivability of the FMD virus in
                                                        FMD during the incubation period.                        maturation requirements contained in                  deboned beef from carcasses where the
                                                        According to those commenters, such                      the proposed rule, which included                     normal acidification of skeletal muscle
                                                        cattle could be slaughtered and enter the                chilling of the carcass after slaughter for           had not occurred and on FMD survival
                                                        food chain, with the FMD-infected beef                   a minimum of 24 and a maximum of 48                   in fat tissues.
                                                        derived from them potentially being                      hours to ensure that the pH in the loin                  APHIS recognizes that blood clots and
                                                        exported to the United States.                           muscle will be below 6.0. One                         lymph nodes do not undergo
                                                        Commenters advised us to adopt what                      commenter stated that chilling beef may               acidification. As explained above,
                                                        they stated was the recommendation of                    be inadequate for eliminating the FMD                 however, under this rulemaking, these
                                                        the OIE for a 3-week quarantine of                       virus, since that virus can remain active             tissues and organs must be removed
                                                        animals from which beef for export is to                 in blood clots. Another commenter                     from the carcasses prior to export to the
                                                        be derived and for the complete                          stated that the reduction of pH is not                United States. Carcasses in which
                                                        segregation of animals in the export                     included as one of the recognized                     normal acidification has not occurred
                                                        zone from animals in adjacent infected                   procedures for the inactivation of FMD                would not be eligible for export to the
                                                        zones.                                                   virus in meat in the OIE Terrestrial                  United States. The rule allows the
                                                           APHIS disagrees with the                              Animal Health Code. It was suggested                  importation of muscle tissue, but not fat,
                                                        commenters. The OIE guidelines do not                    that, in order to effectively reduce the              into the United States. The
                                                        require the quarantine of cattle whose                   risk of FMD virus presence in meat,                   demonstrated efficacy of maturation in
                                                        beef is destined for exportation from                    freezing should occur after maturation.               inactivating the FMD virus in carcasses
                                                        FMD-free regions with vaccination.                       According to one commenter, however,                  has already been noted. Even where
                                                        Article 8.7.24 of the OIE Terrestrial                    if freezing occurs too early after                    marbling occurs, the maturation process
                                                        Animal Health Code states that                           slaughter, any FMD virus that is present              is sufficient to inactivate the FMD virus.
                                                        veterinary authorities of countries                      in the meat may survive for months.                      A number of commenters expressed
                                                        importing fresh meat from countries or                      Based on the existing scientific                   reservations about the effectiveness of
                                                        regions recognized by the OIE as FMD-                    literature, it is generally accepted that             vaccinating animals as a means of
                                                        free with vaccination should require the                 FMD virus is inactivated at pH 6.0 or                 mitigating the risk of exposing U.S.
                                                        presentation of an international                         below after maturation at a temperature               livestock to FMD via imported beef. It
                                                        veterinary certificate attesting that the                of 4 °C. Acidification of skeletal muscle             was stated that vaccinated animals may
                                                        entire consignment of meat comes from                    that takes place during carcass                       become FMD carriers; that vaccinations
                                                        animals which (1) have either been kept                  maturation is normally sufficient to                  are not foolproof due to variations in
                                                        in the free-with-vaccination region or                   inactivate FMD virus in this tissue, even             disease strain (FMD has seven distinct
                                                        country or otherwise meet OIE                            when cattle are killed at the height of               serotypes), mutations, and differences in
                                                        requirements for live animal imports                     viremia. Because it is known that the                 susceptibility of organisms; and that
                                                        under Chapter 8.7 and (2) have been                      required level of acidification cannot be             wildlife cannot be vaccinated. The
                                                        slaughtered in an approved abattoir and                  guaranteed under all circumstances,                   Government of Nicaragua, in comments
                                                        have been subjected to ante- and post-                   measuring of the pH level of the carcass              submitted, claimed that the efficacy of
                                                        mortem inspections for FMD with                          muscle can be used to ensure that it has              immunization via vaccination with
                                                        favorable results. Similarly, under this                 occurred.                                             strains of attenuated virus remains a
                                                        rulemaking we require that the animals                      APHIS agrees that chilling alone may               subject of scientific debate. Commenters
                                                        from which the meat is derived must                      not be adequate to eliminate the virus.               further stated that FMD may spread by
                                                        have been born and raised in the                         Other tissues, organs, etc., that may                 means of contaminated vaccines or the
                                                        exporting region. Because the animals                    harbor FMD virus, such as blood clots,                escape of the virus from vaccine
                                                        would have lived only in the exporting                   heads, feet, viscera, bones, and major                production facilities. It was suggested
                                                        region, they would be unlikely to have                   lymph nodes, do not undergo                           that APHIS should stick to its previous
                                                        been exposed to the FMD virus, and, if                   acidification, allowing the virus to                  policy of allowing imports only from
                                                        exposed, would have been immunized                       survive the maturation process and                    regions free of a disease without
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                                                        against the particular FMD strains that                  subsequent low-temperature storage.                   vaccination.
                                                        are prevalent in the region. APHIS does                  Under this rulemaking, however, as                       APHIS acknowledges that vaccination
                                                        recognize the possibility, however                       noted previously, these tissues and                   of livestock has certain limitations as a
                                                        remote, that because cattle that are in                  organs must be removed from the                       risk-mitigation measure and for that
                                                        the early stages of the FMD incubation                   carcasses prior to export to the United               reason, does not recognize a country
                                                        period may not show clinical signs of                    States.                                               that vaccinates for FMD as free of the
                                                        FMD, an ante-mortem inspection could                        Some commenters, though, also                      disease. Vaccination of cattle against
                                                        fail to detect the disease, and FMD-                     questioned the efficacy of those                      FMD introduces risks related to the
                                                        infected cattle could be presented for                   mitigation measures. It was stated that               immunological response within the
                                                        slaughter, processing, and export of                     their effectiveness had not been                      vaccinated herd. While a large


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                                                                            Federal Register / Vol. 80, No. 127 / Thursday, July 2, 2015 / Rules and Regulations                                        37925

                                                        percentage of individual animals in the                  distribution of vaccines could prove                  and disease reporting protocols,
                                                        herd may fully respond to FMD                            challenging. While we do have a                       slaughter plant procedures, veterinary
                                                        vaccination, some animals may have a                     resource in the North American Foot-                  infrastructure, international border and
                                                        limited response, resulting in partial or                and-Mouth Disease Vaccine Bank,                       internal movement controls, and the
                                                        no immunity. Still, the scientific                       which stores many types of inactivated                possibility of wildlife infecting the
                                                        literature and decades of                                FMD virus antigens, this resource might               Brazilian cattle herd with FMD.
                                                        epidemiological, surveillance, and trade                 be overwhelmed in the face of a large                    We have already noted that some
                                                        data indicate that the combination of                    and expanding outbreak. APHIS                         commenters questioned the efficacy of
                                                        vaccination and the mitigation measures                  continues to discuss this issue and                   vaccination as a means of combatting
                                                        we require under this rulemaking, (e.g.,                 engage our stakeholders in planning and               the spread of FMD. A number of
                                                        inspection, removal of certain tissue                    preparation for any response.                         commenters also expressed reservations
                                                        from the carcasses, and maturation), are                    As discussed later in this document                specific to Brazil’s vaccination
                                                        adequate to appropriately minimize the                   and in the risk assessment, we consider               procedures. It was stated that Brazil’s
                                                        risk of introduction of FMD into the                     the feeding of FMD-contaminated waste                 reported 77 to 99 percent vaccination
                                                        United States via the importation of                     to susceptible animals, particularly                  rate is inadequate for preventing the
                                                        fresh beef from countries that vaccinate                 swine, to be the most likely pathway for              spread of FMD, that not all Brazilian
                                                        for FMD. In 2003, APHIS authorized the                   the transmission of the disease. A                    States vaccinate, and that the lowest
                                                        importation of fresh beef under the same                 commenter representing the pork                       vaccination rate in the exporting region
                                                        conditions that are found in this rule                   industry questioned whether budget                    is in Mato Grosso, which has the
                                                        from Uruguay, a region that, like the                    cuts to APHIS and State animal health                 country’s highest cattle population. It
                                                        exporting region of Brazil covered under                 staffs have had a negative effect on the              was suggested, as noted above, that
                                                        this rule, is free of FMD with                           ability to carry out the regulatory                   FMD could spread in Brazil through
                                                        vaccination. The importation of such                     activities outlined in the Swine Health               contaminated vaccines or escapes of the
                                                        Uruguayan beef has not been associated                   Protection Act (SHPA), and if so,                     virus from vaccine production facilities.
                                                        with an increased risk of FMD. Further,                  whether the resulting reduction in                    In addition, one commenter expressed
                                                        as we described in the risk assessment                   regulatory activities had decreased the               concern about the qualifications of some
                                                        and will discuss in greater detail later in              number of inspections and searches for                individuals administering vaccinations
                                                        this document, Brazil has an effective                   unlicensed garbage-feeding operations                 in Brazil, noting that farmers may
                                                        vaccination program. Quality control                     to a level lower than that we found in                vaccinate their own animals or hire
                                                        measures are in place to ensure that the                 a pathway analysis we conducted in                    professionals who do not have to be
                                                        FMD virus will not be spread by                          1995 to estimate the likelihood of                    registered with or accredited by the
                                                        contaminated vaccines or insufficient                    exposing swine to infected waste.                     Brazilian Government to do the job for
                                                        biosecurity measures at vaccine                             Budget cuts to APHIS have                          them.
                                                        production facilities. FMD vaccine                       necessitated a reordering of priorities in               In Brazil, vaccination is used to
                                                        production in Brazil complies with                       relation to SHPA-related activities. We               prevent the transmission of the FMD
                                                        international guidelines.                                have deemphasized or passed on to                     virus in the event that the disease were
                                                           Some commenters expressed                             State partners or other cooperators                   to be introduced in the region.
                                                        reservations about APHIS’ ability to                     lower-yield activities, such as visiting              Vaccination of cattle and buffalo is
                                                        prevent the introduction of FMD into                     restaurants to inquire about garbage-                 required in the exporting region. The
                                                        the United States via beef imports from                  disposal methods, in favor of allowing                aim of the vaccination program is to
                                                        Brazil and to respond to an outbreak                     inspectors to spend more time                         immunize at least 80 percent of bovines
                                                        should one occur. It was stated that                     interacting with and educating swine                  in a region in order to provide the
                                                        APHIS has neither the physical and                       producers and conducting inspections.                 protection and herd immunity needed
                                                        financial resources to adequately                        The regular presence of APHIS                         to stop the spread of disease. While our
                                                        inspect Brazilian beef production and                    inspectors in U.S. garbage feeding                    risk assessment indicated that there was
                                                        processing sites or to control an                        facilities provides opportunities to                  76 percent coverage of bovines under 12
                                                        outbreak in the United States.                           educate operators on disease signs and                months of age in Mato Grosso, the much
                                                        Additionally, some commenters stated                     reporting requirements and to conduct                 higher vaccination rates for bovines over
                                                        that production and distribution of                      direct observation of animals for signs of            that age, which represent most of the
                                                        appropriate vaccines could prove                         illness. APHIS believes, therefore, that              bovine population in the State, means
                                                        challenging in the event of an outbreak                  the presence of animal products                       that the overall vaccination rate there
                                                        in the United States.                                    infected with FMD or other reportable                 well exceeds 80 percent. More recent
                                                           We disagree with some of these                        conditions entering the United States                 data described in a peer reviewed
                                                        comments. In carrying out our                            would be detected more quickly in these               Journal, indicates that the vaccination
                                                        safeguarding mission, APHIS works to                     types of premises than in other,                      coverage in Brazil as a whole exceeded
                                                        ensure the continued health and welfare                  unregulated premises.                                 95 percent during the 2007–2011
                                                        of our nation’s livestock and poultry.                                                                         (http://dx.doi.org/10.1098/
                                                        One important aspect of this work is                     Brazilian Disease Control Measures                    rstb.2012.0381). All FMD vaccines
                                                        making sure we can readily detect                          Many commenters opposed the                         produced or used in Brazil must follow
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                                                        foreign animal diseases, such as FMD,                    December 2013 proposed rule on the                    OIE guidelines, including being tested
                                                        and respond efficiently and effectively                  grounds that, contrary to the                         for quality and safety by government
                                                        when faced with an outbreak. APHIS                       conclusions of our risk assessment,                   officials. APHIS did not detect any
                                                        partners with other Federal, State, and                  Brazil’s existing disease-control                     evidence to suggest that unacceptable
                                                        local government agencies and private                    measures are inadequate to prevent                    biologics or vaccines are being used in
                                                        cooperators to expand the pool of                        producers in that country from                        Brazil. Vaccination records are verified
                                                        available resources we can draw on in                    exporting FMD-contaminated beef to the                by local veterinary unit (LVU) personnel
                                                        an emergency. We recognize that,                         United States. Commenters expressed                   and may also be verified by field
                                                        depending on the size and scope of an                    concerns about, among other things,                   inspectors visiting individual premises.
                                                        outbreak, the production and                             Brazil’s vaccination program, testing                 Despite the fact that Brazilian State or


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                                                        37926               Federal Register / Vol. 80, No. 127 / Thursday, July 2, 2015 / Rules and Regulations

                                                        Federal personnel do not physically                         Some commenters claimed that Brazil                risk assessment contained no such
                                                        observe all vaccinations, records in LVU                 has failed to report detections of FMD                statement.
                                                        offices that were reviewed by APHIS                      within its cattle population and,                        In the risk assessment, we discussed
                                                        indicated that vaccination coverage was                  therefore, could not be relied upon to                the disease status of regions adjacent to
                                                        quite complete, reaching almost 100                      report such detections in the future.                 the export region, the separation of
                                                        percent.                                                    We disagree with the commenters.                   those regions from the export region,
                                                           Many commenters expressed concern                     During the FMD outbreaks in 2005 and                  and border controls. As noted in both
                                                        about Brazil’s disease-testing and                       2006, MAPA demonstrated that it has                   that document and the environmental
                                                        reporting standards, citing delays in                    the capability to detect disease quickly,             assessment, the exporting region has
                                                        reporting a 2010 case of bovine                          limit its spread, and report promptly.                many natural barriers, such as large
                                                        spongiform encephalopathy (BSE) and                      FMD cases were quickly identified, the                rivers, mountains, forests, and semiarid
                                                        in conducting the required testing in the                disease was contained, and                            areas, along its international and
                                                        wake of the detection and sending the                    international authorities were notified               internal borders. Even in relatively
                                                        OIE lab samples. It was also noted that                  in a timely manner. Further, as stated in             remote frontier areas, where there may
                                                        during the time between the discovery                    our risk assessment, we did not detect                be less surveillance and monitoring than
                                                        of the case and the reporting of it, Brazil              any evidence to suggest that active                   in more populous ones, those
                                                        continued shipping processed meat to                     outbreaks of FMD exist in the export                  geographic barriers restrict animal
                                                        the United States.                                       region. Despite occasional outbreaks of               movement and human traffic, thereby
                                                           APHIS agrees that the delays in the                   FMD in Brazil and in neighboring                      preventing the spread of disease. In
                                                        testing and reporting of the atypical BSE                countries of South America, APHIS                     addition, Brazil collaborates with
                                                        case detected in Brazil were                             considers the disease to be under                     neighboring countries to harmonize
                                                        problematic. Representatives of APHIS                    control in the export region.                         FMD-related programs and restrictions.
                                                        and the U.S. Department of                                  It was also noted that the protocols in            Mechanisms have been established to
                                                        Agriculture’s Food Safety and                            place for reporting disease within Brazil             provide for immediate notification
                                                        Inspection Service (FSIS) visited Brazil                 depend on self-reporting by producers,                between these countries if an outbreak
                                                        in February 2013 to evaluate the BSE                     which some commenters view as an                      occurs. High-risk surveillance areas
                                                        laboratory infrastructure, emergency                     unreliable method.                                    have been established on Brazil’s
                                                        response capabilities, and BSE-related                      While passive disease surveillance in
                                                                                                                                                                       borders with Argentina and Paraguay.
                                                        mitigations at the slaughter level. In                   Brazil relies on self-reporting,
                                                                                                                                                                       Additionally, as discussed in greater
                                                        addition, as a result of the delays in                   producers, veterinarians, and others are
                                                                                                                 required by law to report clinical signs              detail below, research has determined
                                                        testing and reporting of this case, MAPA
                                                                                                                 of FMD to veterinary authorities. Failure             that wildlife has not played a significant
                                                        conducted audits of the laboratories to
                                                                                                                 to comply with FMD reporting                          role in the maintenance and
                                                        identify areas for change and
                                                                                                                 requirements may result in penalties or               transmission of FMD in South America.
                                                        improvement and subsequently
                                                                                                                 fines.                                                We have added a statement to that effect
                                                        implemented several new procedures to
                                                                                                                    Many commenters, noted that the                    to the environmental assessment, under
                                                        assure the timely testing of samples and
                                                                                                                 exporting zone in Brazil borders FMD-                 the heading ‘‘Regulatory Control of
                                                        reporting of results. These included the
                                                        addition of a second laboratory to                       affected regions, including the affected              FMD.’’
                                                        conduct immunohistochemistry tests,                      zone in Brazil, as well as Paraguay,                     One commenter suggested that we
                                                        the expansion of testing capabilities,                   Bolivia, and Argentina, and is not                    add to the final rule a requirement for
                                                        and the development of an inter-                         separated from all those regions by                   a geographic buffer zone, i.e., a disease-
                                                        laboratory data management system to                     physical or geographic barriers.                      free area, surrounding the export region.
                                                        issue reports, record improper samples,                  Commenters pointed out that there has                 The commenter did not specify whether
                                                        and flag delays in sample receipt,                       been a history of FMD incursions in                   such a zone should apply to adjacent
                                                        completion, and notification of test                     Brazil from neighboring countries and                 areas in Brazil or neighboring countries,
                                                        results.                                                 that as long as FMD remains endemic in                or both.
                                                           To evaluate Brazil’s FMD-related                      South America, the possibility of                        Some of the same natural barriers,
                                                        laboratory capabilities, APHIS’ risk                     reintroduction from those neighboring                 described above, that separate Brazil
                                                        assessment included site visits to                       countries exists. Concerns were                       from neighboring countries also are
                                                        various diagnostic laboratories in Rio                   expressed about the adequacy of Brazil’s              present along the boundaries between
                                                        Grande do Sul, Pará, Recife, and                        border control measures. Commenters                   the export region and other Brazilian
                                                        Pernambuco in 2002, 2008, and 2013.                      stated, among other things, that Brazil’s             States. Brazil’s national FMD program
                                                        Based on those visits, APHIS concluded                   border with Peru is not fixed and                     provides for surveillance and reporting
                                                        that Brazil has the diagnostic capability                secure, that Brazil does not effectively              in the exporting area as well as in the
                                                        to adequately test samples for the                       control cattle coming in from Paraguay,               adjacent Brazilian States. Buffer zones
                                                        presence of the FMD virus. Staffing was                  and that there have been eyewitness                   are already employed under Brazil’s
                                                        sufficient at the facilities, and staff                  accounts of unmanned Brazilian border                 FMD program in areas where no natural
                                                        members were well-trained and                            inspection posts. A commenter stated                  barriers exist, along with enhanced
                                                        motivated. Laboratory equipment was                      that there was a discrepancy between                  border patrols. In addition, APHIS’s
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                                                        adequate for diagnosing FMD, and                         our risk assessment and our                           site-visit team did not find any
                                                        quality control activities included                      environmental assessment in the way                   laboratory evidence that FMD currently
                                                        routine monitoring and calibrating of                    we characterized the physical barriers                exists anywhere in Brazil.
                                                        the equipment. The tests used to                         between the exporting region and                         Some commenters stated that
                                                        investigate evidence of viral activity                   affected regions and the possibility of               uncontrolled or inadequately controlled
                                                        were consistent with OIE guidelines.                     virus transmission across those barriers.             movement of wildlife in South America
                                                        The laboratories also had effective and                  It was stated in the environmental                    generally, and countries bordering
                                                        efficient recordkeeping systems for                      assessment that some areas that APHIS                 Brazil in particular, may pose a risk of
                                                        storage and retrieval of data, and were                  regards as barriers could actually be                 spreading FMD into the exporting zone
                                                        able to turn samples around quickly.                     wildlife disease reservoirs, but that the             of Brazil.


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                                                                            Federal Register / Vol. 80, No. 127 / Thursday, July 2, 2015 / Rules and Regulations                                          37927

                                                           Although several South American                       deficiencies in those controls. Some                  FMD-related requirements were met,
                                                        wild animal species are susceptible to                   commenters also stated that Brazil does               and that Brazilian officials were able to
                                                        FMD, research into FMD in South                          not require animal identification and                 demonstrate full traceability to farms of
                                                        America has determined that wildlife                     that its voluntary traceability program               origin.
                                                        populations, including feral swine, do                   and applies only to cattle whose meat is                 Other commenters expressed broader
                                                        not play a significant role in the                       intended for countries that require                   concerns about Brazil’s disease-control
                                                        maintenance and transmission of FMD.                     traceability from birth, which the                    activities, highlighting occasions when,
                                                        During outbreak situations, wildlife may                 United States does not. That group of                 the commenters suggested, Brazil may
                                                        become affected by FMD; however, the                     commenters included the Government                    have failed to comply with safety
                                                        likelihood that they would become                        of Nicaragua, which suggested that                    standards. It was stated that, in the past,
                                                        carriers under field conditions is rare.                 Brazil’s ‘‘unreliable’’ traceability system           Brazil has failed to maintain equivalent
                                                        Therefore, it is unlikely that FMD would                 could hinder its response to an outbreak              safety standards for cooked products
                                                        be introduced into the exporting region                  of FMD, potentially allowing the disease              exported to the United States, causing
                                                        through movement of infected wildlife.                   to spread to other countries. One                     FSIS to suspend imports of such
                                                        Further, Brazil’s biosecurity measures,                  commenter expressed some doubt as to                  products, that FSIS has not allowed
                                                        surveillance activities, and response                    whether Brazil’s traceability system,                 imports from Santa Catarina, which we
                                                        capabilities, which we evaluated in our                  even if relatively effective, could aid in            recognize as FMD-free, on the grounds
                                                        risk assessment, would mitigate the                      combatting an FMD outbreak, since                     that Brazil’s microbiological and residue
                                                        already low risk of the FMD virus                        traceability was not documented as                    testing programs are deficient, and that
                                                        spreading from wildlife to livestock in                  effective in combatting FMD outbreaks                 repeated audits by FSIS and the EC have
                                                        the exporting region of Brazil.                          in the United Kingdom.                                shown a failure on Brazil’s part to
                                                           One commenter stated that Brazil is                                                                         promptly institute and maintain
                                                                                                                    We do not agree with these
                                                        OIE certified as FMD free in just 2 of 26                                                                      corrective action for deficiencies noted
                                                                                                                 comments. Based on our review of the
                                                        States and relaxed its vaccination                                                                             in previous audits. Commenters
                                                                                                                 veterinary infrastructure in Brazil, we
                                                        regimen almost 2 years ago.                                                                                    suggested that the results of those audits
                                                           The OIE currently recognizes the                      determined that MAPA, which oversees
                                                                                                                                                                       indicate that Brazil lacks either the
                                                        Brazilian State of Santa Catarina as                     animal movement within the country,
                                                                                                                                                                       willingness or the infrastructure to
                                                        FMD-free without vaccination. In                         has the legal authority, technical
                                                                                                                                                                       execute the consistent management
                                                        addition, however, the OIE recognizes                    capabilities, and personnel to                        controls needed to sufficiently mitigate
                                                        States and zones within Brazil as FMD-                   implement the FMD program within                      the risk of the introduction of FMD into
                                                        free with vaccination. The area so                       Brazil. Movement controls in Brazil are               the United States through the
                                                        recognized by the OIE, which largely                     stringent. As described in the risk                   importation of fresh beef. One
                                                        coincides with part of the APHIS                         assessment, MAPA requires that all                    commenter suggested that there was a
                                                        exporting region, may be viewed on the                   cattle owners identify their animals                  dearth of veterinarians in Brazil who
                                                        OIE Web site at http://www.oie.int/                      with a unique brand. Sheep and swine                  had the necessary training and expertise
                                                        animal-health-in-the-world/official-                     are identified by a brand in the ear. Each            to manage a national FMD program.
                                                        disease-status/fmd/list-of-fmd-free-                     LVU keeps a registry of brands and a                     As discussed in the risk assessment,
                                                        members/.                                                complete registry of the cattle holdings              APHIS evaluated the veterinary
                                                           A commenter stated that beef from                     in the region, with animal populations                infrastructure of Brazil and concluded
                                                        Brazil may not meet Canada’s import                      listed by age group and sex. The registry             that MAPA has a system of official
                                                        requirements and therefore could not be                  of holdings is updated at least twice per             veterinarians and support staff in place
                                                        commingled with U.S. beef being                          year, during the vaccination period, or               for carrying out field programs and
                                                        shipped to Canada. The commenter                         when the animals are moved to another                 implementing import controls and
                                                        expressed concern that U.S. beef                         place. The LVU must issue an animal                   animal quarantine. Additionally, MAPA
                                                        exporters wishing to export beef to                      movement permit (GTA), which is                       has sufficient legal authority to carry out
                                                        Canada could be negatively affected as                   required whenever animals are moved.                  official control, eradication, and
                                                        a result of this rule.                                   The staff of the LVU is responsible for               quarantine activities. We also
                                                           The commenter’s statement is correct                  verifying that the vehicle transporting               determined that Brazil’s technical
                                                        but is not germane to the current                        the animals has been cleaned and                      infrastructure was adequate for rapid
                                                        rulemaking. Brazil does not export beef                  disinfected as required by law. A copy                detection of FMD and for carrying out
                                                        to Canada. U.S. exporters wishing to                     of the GTA is sent to the destination.                surveillance and eradication programs
                                                        export beef to Canada have a legal                       Any inspection associated with animal                 and that advanced technologies are
                                                        obligation to meet that country’s                        movement involves checking the                        utilized in conducting several animal
                                                        requirements by not commingling beef                     documents and verifying the animal                    health programs. Import controls are
                                                        that is eligible for export to Canada,                   information, as well as clinical                      sufficient to protect international
                                                        with beef that is not.                                   observation of animal health. The EC                  borders at principal crossing points.
                                                           Some commenters questioned the                        Food and Veterinary Office (FVO) audits                  A number of commenters expressed
                                                        efficacy of Brazil’s internal animal                     conducted in 2012 and 2013 found that                 misgivings about Brazil’s slaughter-
                                                        movement controls. Noting that greater                   post-mortem inspection were carried                   plant procedures. It was suggested that
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                                                        market opportunities and the resulting                   out in line with the EU requirements,                 Brazilian slaughter plants may be
                                                        higher prices offered in the export                      that FMD related mitigation were                      deficient on both sanitary and humane
                                                        region might foster illegal animal                       conducted appropriately, and that                     grounds. One commenter expressed
                                                        movements into that region from                          Hazard Analysis Critical Control Points               doubt that, given Brazil’s previous
                                                        affected regions in Brazil, commenters                   plans including traceability and                      compliance issues, APHIS can be
                                                        questioned whether there were                            maturation were implemented and                       certain that beef imported from Brazil
                                                        sufficiently stringent procedures in                     verified by the veterinary authority were             would have the lymph nodes removed
                                                        place in Brazil to restrict such                         found to be satisfactory. In its most                 in all cases, as required under this
                                                        movements. It was further stated that a                  recent audit, conducted in October                    rulemaking. One commenter stated that
                                                        European Commission (EC) audit found                     2014, the EC FVO reported that that                   if a pH meter at a Brazilian slaughter


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                                                        37928               Federal Register / Vol. 80, No. 127 / Thursday, July 2, 2015 / Rules and Regulations

                                                        plant is faulty, infected beef may be                    not adequately described how it will                  cattle producers’ organizations of
                                                        exported to United States.                               continue to provide oversight and/or                  Australia, Canada, Mexico, and New
                                                           The commenters did not present                        monitor Brazil’s animal health                        Zealand—our top livestock trading
                                                        specific evidence regarding deficiencies                 infrastructure indefinitely, to ensure                partners—as well as the United States.
                                                        on sanitary or humane grounds at                         that the country will maintain adequate               The commenter recommended that no
                                                        Brazilian slaughter plants. APHIS                        controls to prevent the spread of FMD                 Brazilian beef be imported into the
                                                        evaluated Brazil’s ability to carry out                  from other regions of Brazil or from                  United States until all the members of
                                                        slaughter-related mitigation measures,                   neighboring countries to the exporting                the Five Nations Beef Alliance decide
                                                        including ante-mortem and postmortem                     area.                                                 that such imports are safe.
                                                        inspections and deboning and removal                        The regulations in § 92.2 provide for                 We do not agree with this comment.
                                                        of lymph nodes from beef carcasses. We                   such monitoring of regions after we                   The Five Nations Beef Alliance is an
                                                        concluded that MAPA will be able to                      recognize them for animal health status.              industry association that lobbies on
                                                        enforce compliance with our inspection                   We may require such a region to submit                behalf of the beef industry in support of
                                                        and slaughter-plant processing                           additional information pertaining to its              its economic interests. Our international
                                                        procedures. Our assessment of Brazil’s                   animal health status and may also                     trade agreements permit us to impose
                                                        veterinary system included an                            conduct additional site visits or other               only those sanitary and phytosanitary
                                                        evaluation of the likelihood of                          information collection activities in order            measures necessary to protect human,
                                                        compliance with the pH requirement.                      to monitor the region’s continued                     animal, or plant life or health on the
                                                        Brazilian authorities monitoring                         compliance with our requirements.                     basis of scientific principles and
                                                        slaughter plants calibrate the pH meters                    As discussed in greater detail below               evidence. We cannot take such actions
                                                        frequently. Beef that does not reach the                 in the section pertaining to issues raised            for economic reasons alone or on the
                                                        required pH is not allowed to be                         regarding our risk assessment, the                    basis of the actions of industry
                                                        exported to the United States and is                     findings from that assessment led us to               associations.
                                                        diverted to the Brazilian domestic                       conclude that the most likely pathway                    Some commenters stated that any beef
                                                        market.                                                  of exposure of domestic livestock to the              we import from Brazil should be labeled
                                                           A few commenters expressed BSE-                       FMD virus in beef was through feeding                 as such, thus enabling U.S. consumers
                                                        related concerns about importing fresh                   of contaminated food waste to swine. A                to make informed decisions regarding
                                                        beef from Brazil. One commenter stated                   commenter representing the pork                       their beef purchases.
                                                        that some countries have banned or                       industry questioned whether APHIS has                    Country of origin labeling is already
                                                        restricted beef imports from Brazil due                  current data regarding the level of                   required under the Agricultural
                                                        to concerns about safety, particularly                   biosecurity, security, veterinary care,               Marketing Service regulations in 7 CFR
                                                        regarding BSE. Another commenter                         routine health observations, and                      part 65.
                                                        questioned whether Brazil tests for E.                   knowledge of disease reporting                           A commenter stated that there was a
                                                        coli and BSE.                                            pathways in garbage-fed populations in                lack of information on disease serotypes
                                                           These comments are beyond the scope                   Brazil. According to the commenter,                   and strains outside the export zone.
                                                        of the present rulemaking, which                         such data are necessary to meet the goal                 APHIS disagrees with the commenter.
                                                        contains FMD-related import                              of a foreign animal disease preparation               In our risk assessment, under Factor 3,
                                                        restrictions. The risk assessment                        and response plan. The commenter                      ‘‘Disease Status of Adjacent Regions’’
                                                        supporting the rulemaking specifically                   further enquired about the level of                   (pp. 23 to 29), we describe FMD
                                                        examined the potential risk of                           confidence APHIS has regarding the                    outbreaks that occurred in the countries
                                                        introducing FMD into the U.S. cattle                     education provided to licensed garbage                and Brazilian States adjacent to the
                                                        population by allowing imports of fresh                  feeders and whether biosecurity and                   export area, including the serotypes
                                                        beef from Brazil under certain                           veterinary care protocols and disease                 involved in the outbreaks over the last
                                                        conditions. We would note, however,                      reporting procedures are being followed               10 years.
                                                        that the OIE currently recognizes Brazil                 in Brazil.
                                                                                                                    Licensed garbage feeders are generally             Risk Assessment
                                                        as a negligible-risk country for BSE, a
                                                        designation APHIS concurred with in a                    provided with education by MAPA                          A large number of commenters voiced
                                                        notice 2 published in the Federal                        during routine inspections by Brazilian               reservations about both the
                                                        Register on October 1, 2014 (79 FR                       animal health regulatory staff on topics              methodology we used to conduct our
                                                        59207–59208, Docket No. APHIS–2013–                      including the importance of proper                    risk assessment of the proposed
                                                        0064). Should circumstances arise that                   cooking, signs of foreign animal                      exporting region of Brazil and the
                                                                                                                 diseases, appropriate biosecurity                     conclusions we reached in that
                                                        would dictate a change in Brazil’s BSE
                                                                                                                 measures, etc. Mandatory inspections                  document.
                                                        classification to a less favorable one,
                                                                                                                 conducted by MAPA at least quarterly                     Some commenters noted that, in the
                                                        APHIS would require BSE mitigations
                                                                                                                 provide confidence in the ability of                  past, APHIS has characterized other
                                                        for imports of beef as appropriate to the
                                                                                                                 licensed garbage feeding operations to                countries, (e.g., Argentina, Japan, and
                                                        adjusted risk classification.
                                                           Some commenters, citing what they                     maintain biosecurity and reporting                    South Korea), as low-risk countries for
                                                        characterized as Brazil’s spotty record of               requirement protocols. Demonstration of               FMD, and that, soon after we did so,
                                                        compliance with safety standards,                        adequate facilities and equipment is a                outbreaks of the disease occurred in
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                                                        recommended that APHIS consider the                      requirement for obtaining and                         those countries.
                                                                                                                 maintaining licensure.                                   Because disease situations are fluid
                                                        development of an ongoing oversight
                                                                                                                    One commenter cited the refusal of                 and no country, not even the United
                                                        protocol, beyond the usual port-of-entry
                                                                                                                 countries other than the United States                States, can guarantee perpetual freedom
                                                        testing, to monitor Brazil’s compliance
                                                                                                                 whose producers are represented under                 from a disease, APHIS’ risk analyses
                                                        with our required risk mitigation
                                                                                                                 the Five Nations Beef Alliance to accept              consider whether a country can quickly
                                                        measures. It was stated that APHIS has
                                                                                                                 Brazilian beef as a reason for not                    detect, respond, and report changes in
                                                          2 To view the notice and the comments we               allowing it to be imported into the                   disease situations. In our evaluation,
                                                        received, go to http://www.regulations.gov/              United States. The Five Nations Beef                  conducted according to the factors
                                                        #!docketDetail;D=APHIS-2013-0064.                        Alliance consists of the national beef                identified in § 92.2, ‘‘Application for


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                                                                            Federal Register / Vol. 80, No. 127 / Thursday, July 2, 2015 / Rules and Regulations                                          37929

                                                        recognition of the animal health status                  capabilities, and emergency                              Even though a site visit may have a
                                                        of a region,’’ we concluded that the                     preparedness and response) as factors to              particular focus, all factors are evaluated
                                                        specified region of Brazil has the legal                 consider in assessing the risk of                     during each visit, with emphasis on
                                                        framework, animal health infrastructure,                 transmission of an animal disease to                  changes implemented since the
                                                        movement and border controls,                            U.S. livestock via the importation of                 previous one. Any observed changes in
                                                        diagnostic capabilities, surveillance                    animals or animal products from a                     risk are noted in the risk assessment. If
                                                        programs, and emergency response                         foreign region. Risk factors are                      no changes are noted, then no changes
                                                        systems necessary to detect, report,                     identified from the information gathered              are made to that factor in the risk
                                                        control, and manage FMD outbreaks.                       on these topics, and applicable                       assessment, and the original date for
                                                           As a member of OIE, Brazil is                         mitigations are discussed. The                        which risk was described is maintained.
                                                        obligated to immediately notify the                      regulations in § 92.2 are publically                  In the example noted below, movement
                                                        organization of any FMD outbreak or                      available at: http://www.gpo.gov/fdsys/               and border controls were verified in site
                                                        other important epidemiological event.                   pkg/FR-2012-07-27/html/2012-                          visits subsequent to 2002. However,
                                                        The notification must include the                        18324.htm. Further information on site                since no significant changes were noted
                                                        reason for the notification, the name of                 visits is available in a guidance                     in risk, the 2002 date was retained to
                                                        the disease, the affected species, the                   document regarding APHIS’ approach to                 indicate when the initial observation
                                                        geographical area affected, the control                  implementing its regionalization                      was made.
                                                        measures applied, and any laboratory                     process and the way in which APHIS                       Some commenters viewed the
                                                        tests carried out or in progress.                        applies risk analysis to the                          documentation supporting our risk
                                                           Upon notification of an FMD outbreak                  decisionmaking process for                            assessment as insufficient. It was further
                                                        in the exporting region of Brazil, APHIS                 regionalization. This document is                     noted that some of those supporting
                                                        would implement critical prevention                      available to the public at: http://                   documents were in Portuguese. As a
                                                        measures to respond to the outbreak,                     www.aphis.usda.gov/import_export/                     result, according to the commenters,
                                                        including alerting U.S. Customs and                      animals/downloads/regionalization_                    transparency was lacking regarding our
                                                        Border Protection inspectors at all ports                process.pdf.                                          research methodology and the manner
                                                        of entry. Because § 94.29(b) requires that                  Our five site visits to Brazil,                    in which we arrived at our conclusions.
                                                        FMD must not have been diagnosed in                      conducted in 2002, 2003, 2006, 2008,                  It was also claimed that the documents
                                                        the exporting region within the past 12                  and 2013, included visits to Federal,                 we did make available lacked
                                                        months, fresh beef from the region                       State, and local veterinary offices, farms,           consistency and evidence of verification
                                                        would no longer meet our requirements,                   border control stations, and diagnostic               of our findings.
                                                        and we would immediately stop                            laboratories. The findings from these
                                                        importation.                                                                                                      All of the documents that were
                                                                                                                 visits are discussed thoroughly in the
                                                           Some commenters questioned the                                                                              provided by the Government of Brazil
                                                                                                                 risk assessment document. As noted in
                                                        methodology we employed for the site                                                                           have been shared with stakeholders who
                                                                                                                 that document, the scope of the 2002
                                                        visits to Brazil. It was claimed that there                                                                    requested them. APHIS acknowledges
                                                                                                                 site visit included verification of FMD
                                                        is no obvious evidence of any                            outbreak controls, an overview of the                 that some of the documents used as
                                                        established protocol or methodology to                   surveillance program and laboratory                   references in the risk analysis were
                                                        allow for consistency and assurance in                   capabilities, vaccination practices and               submitted to APHIS in Portuguese;
                                                        the quality of the APHIS site visit                      eradication activities, and movement                  however, APHIS personnel involved in
                                                        reviews and that documentation                           and border controls. The focus of the                 the evaluation had sufficient language
                                                        pertaining to the visits was lacking or                  2003 site visit was to collect data that              skills to read those documents without
                                                        unavailable for public review.                           APHIS used in its risk assessment. The                requiring that they be translated into
                                                        According to one commenter,                              focus of the 2006 site visit was to                   English. In addition, in most instances,
                                                        documents pertaining to the specific                     evaluate the FMD situation following                  the same or related data were provided
                                                        methodology and measurements used                        the 2005–2006 outbreak in Paraná and                 in other documents or verbally
                                                        during the site visits to support the                    Mato Grosso do Sul. The focus of the                  presented to APHIS during site visits.
                                                        qualitative risk assessment should have                  2008 visit was to evaluate the Brazilian              The information provided by Brazil and
                                                        been available for the public to review.                 State of Santa Catarina for freedom from              the conclusions reached are thoroughly
                                                        It was stated that without sufficient                    classical swine fever, FMD, African                   described in the risk analysis that was
                                                        documentation, there was no way to                       swine fever, and swine vesicular                      made available for public review and
                                                        distinguish between data obtained from                   disease. Finally, the scope of the 2013               comment.
                                                        the site visits and data supplied by the                 visit included the evaluation of the FMD                 Some commenters stated that APHIS
                                                        Government of Brazil. It was                             diagnostic capabilities, FMD                          should prepare a quantitative risk
                                                        recommended that APHIS develop a                         laboratories, and vesicular disease                   assessment for beef from Brazil and
                                                        protocol, which it should make                           emergency response.                                   make it available for public review.
                                                        available to the public, to be used for                     Another issue raised in regard to our              Commenters took the position that the
                                                        site visits so that our assessments can be               site visits was that not all of the factors           qualitative risk assessment methodology
                                                        analyzed and summarized more                             for animal health status were reviewed                that we employed is too subjective
                                                        objectively.                                             during each of the site visits by APHIS.              because it fails to quantify objectively
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                                                           APHIS’ site visits consist of an in-                  It was stated that because each site visit            the probability of risk and adequately
                                                        depth evaluation of the eight factors                    had a different focus, some of the                    assess the magnitude of the
                                                        identified in § 92.2 (scope of the                       information our site-visit teams                      consequences of a disease outbreak.
                                                        evaluation being requested, veterinary                   obtained may now be out of date. For                  Noting that APHIS prepared a
                                                        control and oversight, disease history                   example, one commenter claimed that                   quantitative risk assessment in 2002 in
                                                        and vaccination practices, livestock                     some risk factors associated with the                 support of the rulemaking allowing the
                                                        demographics and traceability,                           importation of beef from Brazil, such as              importation of fresh beef from Uruguay,
                                                        epidemiological separation from                          movement and border controls,                         commenters questioned why APHIS
                                                        potential sources of infection,                          appeared not to have been verified                    chose to prepare only a qualitative risk
                                                        surveillance, diagnostic laboratory                      through site visits since the 2002 visit.             assessment for Brazil.


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                                                        37930               Federal Register / Vol. 80, No. 127 / Thursday, July 2, 2015 / Rules and Regulations

                                                           Most of APHIS’ risk analyses for FMD                  region’s veterinary infrastructure,                   stated that the exposure assessment
                                                        have been, and continue to be,                           disease history, geographical separation              should have focused on the effects of
                                                        qualitative in nature. APHIS believes                    from affected regions, diagnostic and                 plate waste or manufacturing waste
                                                        that, when coupled with site visit                       surveillance capabilities, and emergency              processing for swine feeding on the
                                                        evaluations, qualitative risk analyses                   response planning. Both the OIE Code                  survival of FMD virus.
                                                        provide the necessary information to                     and § 92.2 require the requesting region                 There is a general scientific
                                                        assess the risk of the introduction of                   to provide the same documentation.                    understanding on the main pathway of
                                                        FMD through importation of                                  In contrast to the comments discussed              FMD exposure via the importation of
                                                        commodities such as fresh beef.                          above, one commenter criticized our                   fresh beef. This pathway is through the
                                                        Quantitative risk analysis models may                    risk assessment methodology on the                    feeding of food waste to swine. The
                                                        not be the best tool to use to assess the                grounds that we granted too much                      likelihood of exposure of FMD-
                                                        risk of FMD posed by exports from a                      deference to the OIE guidelines, thus                 susceptible species to FMD-infected
                                                        country, such as in cases where the                      violating our statutory mandate to                    beef was evaluated by reviewing
                                                        types of data required by such models                    protect U.S. livestock.                               previous studies we conducted. In 1995,
                                                        are either unavailable or suffer from a                     We do not agree with this comment.                 we conducted a pathway analysis to
                                                        high level of parameter uncertainty. In                  As noted above, the OIE evaluation                    estimate the likelihood of exposing
                                                        these instances, APHIS’ approach is to                   criteria and those in § 92.2 essentially              swine to infected waste. With 95
                                                        characterize the risk of outbreak                        cover the same topics. In addition, the               percent confidence, we estimated that
                                                        qualitatively in order to determine what                 site visits we conduct as part of our risk            0.023 percent or less of plate and
                                                        appropriate measures to implement in                     assessment process enable us to verify                manufacturing waste would be
                                                        order to mitigate the risk posed to the                  the requesting country’s disease status               inadequately processed prior to feeding
                                                        United States in the event of an                         and its ability to maintain that status               to swine. Based on this percentage, less
                                                        outbreak in the exporting country (e.g.,                 and to control outbreaks if they occur.               than 1 part in 4,300 of imported beef fed
                                                        maturation and pH of beef, no diagnosis                     Commenters also took issue with the                to swine as plate or manufacturing
                                                        of FMD in the previous 12 months).                       release assessment for suggesting that                waste is likely to be inadequately
                                                           Some commenters raised issues                         wildlife does not play a significant role             cooked. The findings of a 2001 APHIS
                                                        regarding the scope of our risk                          in the transmission of FMD. It was                    survey, which showed a substantial
                                                        assessment. It was stated that the release               claimed that the statement lacked                     reduction in waste-feeding operations,
                                                        assessment, exposure assessment, and                     support in the scientific literature.                 further indicated that the risk of FMD
                                                        consequence assessment appeared to be                       The epidemiology of the disease in                 exposure via feeding of contaminated
                                                        incomplete with regard to the necessary                  South America over time and the                       waste to swine was continuing to
                                                        steps and requirements described in the                  information provided in the                           decline.
                                                        OIE Terrestrial Animal Health Code.                      surveillance section of the risk                         Some commenters stated that that the
                                                           We conducted the risk assessment                      assessment clearly demonstrate that the               pork industry has undergone significant
                                                        guided by Chapter 2.1 of the OIE                         role of wildlife in disease transmission              changes since we conducted the 1995
                                                        Terrestrial Animal Health Code, ‘‘Import                 in the area under consideration is                    risk analysis and 2001 survey cited
                                                        Risk Analysis.’’ The Code recommends                     insignificant. Many decades of                        above. A commenter representing a
                                                        that risk assessments include four steps:                experience with the disease have shown                national pork producers’ association
                                                        An entry assessment, an exposure                         no consistent relationship between                    questioned the validity of our 1995
                                                        assessment, a consequence assessment,                    outbreaks in domestic animals and                     pathway analysis in particular, stating
                                                        and an overall risk estimation based on                  coexistence of susceptible wild animals               that the findings are outdated and
                                                        the data compiled in the previous three                  in South America. In addition, results of             incomplete. Other commenters also
                                                        steps. A description of each of those                    repeated serological testing focusing on              expressed skepticism that the 1995
                                                        steps is included. In conducting our risk                cattle as the most susceptible species do             analysis and the 2001 survey adequately
                                                        assessment of Brazil, we followed the                    not reveal evidence of viral activity in              reflect the current risk to the U.S. pork
                                                        steps listed in the OIE Terrestrial                      domestic ruminants that are likely to                 industry of the introduction of FMD into
                                                        Animal Health Code. Where there are                      contact wild animals. If wild animals                 the United States through garbage
                                                        differences between APHIS’                               were carriers or reservoirs of FMD,                   feeding. It was suggested that APHIS
                                                        methodology and that described by the                    evidence of viral activity would be                   needs to consider obtaining updated
                                                        OIE, they have more to do with                           expected in domestic species coexisting               scientific data, independent of the 2001
                                                        terminology than methodology. For                        in the same regions as infected wild                  APHIS waste-feeder survey, in order to
                                                        example, we refer to what the OIE terms                  animals.                                              better verify the exposure assessment for
                                                        the entry assessment as a release                           Some commenters also claimed that                  FMD presented in the risk analysis.
                                                        assessment.                                              the biological pathways for the release                  APHIS acknowledges that the pork
                                                           Some commenters did not view the                      of pathogens were not described clearly               industry in general has undergone
                                                        eight factors listed § 92.2 as sufficiently              in the release assessment.                            significant changes since 1995;
                                                        comprehensive for conducting a risk                         We address biological pathways for                 however, the garbage-feeding industry
                                                        assessment, suggesting that we should                    the release of the FMD virus in the                   in particular, which we discuss in
                                                        have relied on the OIE guidelines                        exposure assessment, which we discuss                 greater detail immediately below, has
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                                                        instead.                                                 in greater detail below.                              not. In that discussion, we elaborate on
                                                           We did evaluate Brazil using the                         Commenters stated that our exposure                our reasons for our confidence that the
                                                        factors listed in § 92.2. These factors,                 assessment identified only a single                   1995 risk analysis and 2001 survey
                                                        however, are essentially the same as the                 exposure pathway: The feeding of FMD-                 adequately reflect the current risk to the
                                                        factors listed in Chapter 1.6 of the OIE                 contaminated beef to susceptible                      U.S. pork industry from the feeding of
                                                        Terrestrial Animal Health Code. Both                     animals. It was stated that the exposure              contaminated food waste to swine.
                                                        § 92.2 and the OIE Code provide for the                  assessment included no discussion of                     One commenter stated that, according
                                                        evaluation of a region seeking                           any alternative exposure pathways for                 to APHIS reports to the U.S. Animal
                                                        recognition for a disease status on the                  FMD, such as illegal imports and                      Health Association’s Transmissible
                                                        basis of, among other things, the                        backyard pig feeding. It was further                  Diseases of Swine Committee, from


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                                                                            Federal Register / Vol. 80, No. 127 / Thursday, July 2, 2015 / Rules and Regulations                                        37931

                                                        2009 to 2013, a number of unlicensed                     visiting the areas of highest risk in the             U.S. commodity groups potentially
                                                        garbage feeders were found each year by                  export region, APHIS concluded that                   affected by an FMD outbreak.
                                                        State and Federal animal health                          movement control measures for live                       It is true that an outbreak of FMD in
                                                        authorities. The commenter asked if                      animals are effective at both domestic                the United States, whatever its source,
                                                        APHIS has any supporting information                     and international checkpoints. The                    could have very serious effects on the
                                                        that estimates the number of unlicensed                  commenters did not present any                        U.S. cattle industry. In the economic
                                                        garbage-feeding facilities.                              evidence to support their claim that this             analysis accompanying the December
                                                           Procedures for the handling,                          methodology is flawed.                                2013 proposed rule, we analyzed
                                                        processing, and feeding of food waste to                    A commenter objected to the                        expected benefits and costs of annual
                                                        swine in the United States are subject to                terminology we used in characterizing                 imports of fresh (chilled or frozen) beef
                                                        our swine health protection regulations                  the FMD risk associated with imports of               from Brazil averaging 40,000 metric tons
                                                        in 9 CFR part 166. Compliance with the                   beef from Brazil. It was stated that the              (MT), and found that the expected
                                                        regulations has improved in recent                       characterization of the risk of FMD                   changes in U.S. beef production,
                                                        years, thereby reducing the probability                  introduction as ‘‘low’’ was arbitrary and             consumption, and exports would not be
                                                        of survival of FMD virus in the food                     misleading. The commenter stated that                 significant. We did not report on
                                                        waste. Searches for non-licensed                         the term ‘‘low’’ actually falls in the                potential impacts of an FMD outbreak
                                                        garbage feeding facilities are regularly                 middle of the risk spectrum, meaning,                 for the U.S. economy in the economic
                                                        conducted using several different                        in the view of the commenter, that the                analysis accompanying the December
                                                        techniques as part of the duties of                      actual risk of FMD introduction from                  2013 proposed rule because, in our
                                                        APHIS animal health staff, as well as                    Brazil was unacceptably high. The same                view, the risk-mitigation measures
                                                        State animal health and other State                      commenter also stated that there was a                required of Brazil, which include
                                                        agency staff. When unlicensed garbage                    discrepancy between the risk                          deboning, maturation for at least 24
                                                        feeding facilities are identified, the                   assessment, which characterized the                   hours, and pH measurements below 6.0
                                                        unauthorized activity is documented,                     risk as ‘‘low’’ and the environmental                 in the loin muscle, will provide for the
                                                        and the facility is brought into                         assessment, which characterized the                   safe importation of beef from Brazil. The
                                                        compliance. Depending on the State, all                  risk as ‘‘extremely unlikely.’’                       revised economic analysis
                                                        swine on such premises may be                                                                                  accompanying this final rule, however,
                                                                                                                    APHIS disagrees with the commenter.
                                                        quarantined and tested for foreign                                                                             does analyze those potential impacts.
                                                                                                                 We employ the term ‘‘low’’ to                         We would further note that in the
                                                        animal diseases. Information on the
                                                        number of inspections conducted to                       characterize the risk associated with                 consequence assessment section of our
                                                        detect unlicensed garbage feeding                        importing a particular commodity when                 risk assessment, we examined the
                                                        facilities, the number of unlicensed                     we have determined, based on a risk                   potential economic and other
                                                        facilities identified, and resolution of                 assessment, that the commodity can be                 consequences of an FMD outbreak in the
                                                        cases resulting from such identification                 safely imported into the United States                United States at some length.
                                                        are captured at the State level and                      under certain conditions. We base such                   Some commenters also pointed out
                                                        evaluated by APHIS on a regular basis.                   determinations on our assessment of the               that an FMD outbreak in the United
                                                        Given the regular monitoring of these                    exporting region’s disease-control                    States could result in the loss of export
                                                        facilities and their relatively small                    capabilities, as evaluated in relation to             markets for U.S. beef. It was further
                                                        number, we stand by the conclusions                      the eight factors in § 92.2, and the                  claimed that our economic analysis
                                                        we reached in our 1995 risk analysis.                    known efficacy of the risk mitigation                 understated the value of those export
                                                           A commenter stated that our                           measures available to us. The statements              markets.
                                                        consequence assessment should have                       in the risk assessment and the                           An FMD outbreak would likely result
                                                        focused on the specific commodity to be                  environmental assessment are not                      in the loss of U.S. beef export markets.
                                                        imported, as outlined in the scope of the                contradictory. The environmental                      However, APHIS is confident that the
                                                        risk assessment.                                         assessment refers to the risk of                      required sanitary safeguards will ensure
                                                           The consequence assessment did                        introduction of FMD into the United                   the safe importation of beef from Brazil
                                                        examine at some length the possible                      States as extremely unlikely. The risk                as a result of this rule. Regarding the
                                                        economic consequences for the cattle                     assessment characterizes the combined                 value of U.S. beef export markets, it can
                                                        industry, as well as other livestock                     risks of introduction and dissemination               be measured differently depending on
                                                        industries, that could result from an                    of the disease as low.                                the combination of bovine products and
                                                        outbreak of FMD in the United States.                    Economic Analysis                                     composite prices used. The value can
                                                           Commenters took issue with the                                                                              also vary based on how shipping and
                                                        methodology we used for evaluating the                     Many commenters expressed concern                   other transactional expenses may be
                                                        efficacy of Brazil’s movement and                        about the potentially devastating                     included in reported prices.
                                                        border controls. As noted in the risk                    economic effect an outbreak of FMD in                 Commenters may consider the reported
                                                        assessment, APHIS assumes that, if the                   the United States could have on U.S.                  value of U.S. beef exports to be
                                                        riskiest pathways are sufficiently                       cattle producers. It was stated that the              understated because of differences in
                                                        mitigated, then the overall spectrum of                  potential economic risks greatly                      product and price definitions.
                                                        risk issues should be acceptable. The                    outweigh the benefits of this                         Nevertheless, attributing a higher value
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                                                        commenters viewed that assumption as                     rulemaking, and that the economic                     to U.S. beef export markets would not
                                                        unwarranted.                                             analysis accompanying the December                    change our conclusion that the rule’s
                                                           We do not agree with this comment.                    2013 proposed rule failed to take into                impact on beef exports, as well as other
                                                        APHIS tries to target the riskiest border                account those potential costs. Some                   segments of the beef industry, will be
                                                        crossings (and other areas) during site                  commenters recommended that we                        minor.
                                                        visits as examples of a type of                          revise the economic analysis to account                  A commenter stated that allowing
                                                        ‘‘maximized risk scenario’’ in order to                  for those potential costs. It was                     imports of beef from Brazil may cause
                                                        address similar, but theoretically lower,                suggested that we should perform a                    a loss of consumer confidence in beef,
                                                        risks in the remainder of the export                     comprehensive, up-to-date economic                    resulting in a loss of profits for U.S.
                                                        region. Using this assumption and                        analysis to identify consequences for all             producers.


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                                                        37932               Federal Register / Vol. 80, No. 127 / Thursday, July 2, 2015 / Rules and Regulations

                                                           This is a hypothetical statement for                  those existing imports are not                        Commenters claimed that the
                                                        which the commenter presents no                          problematic and there is no increased                 rulemaking favored meat packers and
                                                        supporting evidence.                                     demand for beef by U.S. consumers.                    processors at the expense of farmers. It
                                                           A commenter expressed the view that                     The United States and many other                    was also asserted that the proposed rule
                                                        the rulemaking would depress markets                     member countries are a part of the rules-             favored Brazilian producers at the
                                                        for U.S. producers and affect export                     based international trading system,                   expense of U.S. producers because U.S.
                                                        markets because allowing imports from                    which has benefitted Members through                  producers would not be able to compete
                                                        Brazil would facilitate Brazil’s access to               the maintenance of open international                 on price with their Brazilian
                                                        other international markets.                             markets. Under our international trade                counterparts, and that, therefore, the
                                                           The question of whether or not                        agreements, we consider requests from                 rule would have the unintended effect
                                                        allowing Brazilian beef to be imported                   countries and regions to import their                 of shrinking the U.S. cattle herd and
                                                        into the United States would facilitate                  animals and/or animal products. Before                expanding Brazil’s.
                                                        Brazilian producers’ access to other                     such requests are granted, we must first                We undertook this rulemaking at the
                                                        international markets is beyond the                      assess the risks to U.S. herds posed by               request of Brazil and in accordance with
                                                        scope of our economic analysis. The                      imports by evaluating the requesting                  our international trade agreements. We
                                                        commenter did not present data that                      country or region’s disease status and                based this rulemaking on the findings of
                                                        would support the proposition that                       the efficacy of its risk-mitigation                   our risk assessment that fresh beef could
                                                        Brazil’s beef exports are likely to                      measures. The United States’ and other                safely be imported into the United
                                                        increase so precipitously as a result of                 WTO Members’ international trade                      States from Brazil under certain
                                                        this rulemaking that U.S. exporters                      obligations ensure that decisions                     conditions. We do not believe this rule
                                                        would experience negative effects.                       regarding market access are based on                  favors one sector or country over
                                                           A commenter expressed the concern                     scientific principles and risk                        another, and the commenters did not
                                                        that the rulemaking would have adverse                   assessments. U.S. demand for these                    provide evidence to support their
                                                        effects not only on U.S. beef producers                  products is not a part of the                         claims.
                                                        but on associated industries as well.                    consideration of such requests.
                                                           Based on how small the volume of                                                                            Miscellaneous Comments
                                                                                                                   One commenter characterized the
                                                        beef we project will be exported from                                                                             In addition to the issues already
                                                                                                                 proposed rule as a misguided attempt to
                                                        Brazil to the United States relative to                                                                        discussed in this document,
                                                                                                                 remedy short-term beef price increases.
                                                        U.S. beef production, we anticipate that                                                                       commenters raised a few others that did
                                                                                                                 The commenter stated that the U.S.
                                                        both U.S. beef producers and associated                                                                        not fit neatly into any of the above
                                                                                                                 cattle herd needs to be rebuilt, but the
                                                        industries will be affected little, if at all,                                                                 categories.
                                                                                                                 rulemaking may discourage producers
                                                        by this rulemaking.                                                                                               One commenter recommended that
                                                           Commenters questioned our                             from restocking.
                                                                                                                   The commenter’s statement is a                      we allow the importation of fetal bovine
                                                        projections regarding the amount of beef                                                                       serum from Brazil.
                                                        likely to be imported from Brazil and                    hypothetical one and, as such, difficult
                                                                                                                 to evaluate. We did not receive any data                 That comment is beyond the scope of
                                                        also expressed doubts about our                                                                                the present rulemaking, which concerns
                                                        assumption that Brazilian beef imports                   from this or other commenters that
                                                                                                                 would suggest that the rulemaking                     the FMD status of Brazil and the
                                                        will mainly displace other imports                                                                             importation of Brazilian beef.
                                                        rather than increasing the total volume                  would discourage U.S. cattle producers
                                                                                                                 from restocking.                                         Other commenters suggested that the
                                                        of beef imports. It was stated that                                                                            rulemaking may lead to deforestation
                                                        because exporting beef to the United                       A commenter claimed that the
                                                                                                                 rulemaking would result in a larger drop              and/or environmental degradation.
                                                        States may be profitable for Brazilian                                                                            The commenters did not explain how
                                                        producers, they are likely to ship more                  in steer prices than the 0.14 percent we
                                                                                                                 projected in the economic analysis                    the rulemaking would have those
                                                        than the 40,000 MT of beef to the United                                                                       effects. USDA prepared an
                                                        States that we estimated they would in                   supporting the December 2013 proposed
                                                                                                                 rule.                                                 environmental assessment, but the focus
                                                        an average year.                                                                                               of the environmental assessment is to
                                                           Our import projections are based on                     We arrived at that estimate using
                                                                                                                 results from a published economic                     evaluate the potential impacts of
                                                        the data we obtain from industry and                                                                           allowing for the importation of fresh,
                                                        other sources and the use of published                   model.3 Had the commenter supplied a
                                                                                                                 different set of substantiated data, we               maturated, and deboned beef from a
                                                        models. In the preamble to the                                                                                 region in Brazil into the United States,
                                                        December 2013 proposed rule, we noted                    could have reevaluated our estimate.
                                                                                                                   Some commenters suggested that in                   and not on increased deforestation in
                                                        that we did not have all of the data                                                                           Brazil.
                                                        necessary for a comprehensive analysis                   the event of an FMD outbreak in the
                                                                                                                                                                          One commenter stated that the
                                                        of the effects of the proposed rule on                   United States, APHIS should indemnify
                                                                                                                                                                       rulemaking does not comply with our
                                                        small entities, and we solicited                         or otherwise support U.S. cattle
                                                                                                                                                                       statutory obligation to develop rural
                                                        comments on the potential effects.                       producers.
                                                                                                                                                                       America.
                                                        Because the commenters did not supply                      APHIS’ ability to pay indemnities is
                                                                                                                                                                          The commenter did not cite any
                                                        information that contradicted the data                   dependent upon the availability of
                                                                                                                                                                       particular statute to support the claim
                                                        upon which we relied, that called into                   funds. In the past, APHIS has
                                                                                                                                                                       that we were not meeting our statutory
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                                                        question the model we used, or that                      indemnified producers whose livestock
                                                                                                                                                                       obligations.
                                                        supported in any way the suggestion                      had to be depopulated as part of                         Commenters writing on behalf of an
                                                        that our projections were inaccurate, we                 disease-eradication efforts.                          association representing Hispanic and
                                                        did not have cause to revise our                           Some commenters objected to the                     Native American livestock producers
                                                        projections.                                             proposed rule because of what they                    claimed that the rulemaking violates the
                                                           Another commenter, while agreeing                     perceived as economic favoritism.                     civil rights and fair trade rights of
                                                        with our projection that Brazilian beef                    3 Paarlberg, Philip L., Ann Hillberg Seitzinger,
                                                                                                                                                                       minority livestock producers.
                                                        imports would most likely displace                       John G. Lee, and Kenneth H. Mathews, Jr. Economic
                                                                                                                                                                          As we noted in the economic analysis
                                                        imports from elsewhere, questioned                       Impacts of Foreign Animal Disease. Economic           accompanying the December 2013
                                                        why the rulemaking was necessary if                      Research Report Number 57. USDA ERS, May 2008.        proposed rule, we do not anticipate that


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                                                                            Federal Register / Vol. 80, No. 127 / Thursday, July 2, 2015 / Rules and Regulations                                         37933

                                                        the rulemaking will have a significant                   contacting the person listed under FOR                percent, respectively. The 20,000 MT
                                                        economic effect on any livestock                         FURTHER INFORMATION CONTACT.                          and 65,000 MT scenarios show similar
                                                        producers. In the absence of economic                       This analysis examines potential                   quantity and price effects.
                                                        or competitive harm, we do not see this                  economic impacts of a final rule that                    The fall in beef prices and the
                                                        rule as violating the rights of any group.               will allow fresh (chilled or frozen) beef             resulting decline in U.S. beef
                                                                                                                 from a designated region in Brazil to be              production will translate into reduced
                                                        Miscellaneous                                            imported into the United States                       returns to capital and management in
                                                          We are making an editorial change to                   provided certain conditions are met.                  the livestock and beef sectors. Under the
                                                        § 94.29(a) for the sake of clarity. In the               Economic effects of the rule for both                 40,000 MT import scenario, beef
                                                        December 2013 proposed rule, the                         U.S. producers and consumers are                      processors will experience a decline in
                                                        paragraph read as follows: ‘‘The meat is                 expected to be small. Welfare gains for               surplus of $28.85 million or 0.85
                                                        beef or ovine meat from animals that                     consumers will outweigh producer                      percent, while consumers will benefit
                                                        have been born, raised, and slaughtered                  losses, resulting in a net benefit to the             from the decrease in price by an
                                                        in the exporting region of Brazil or in                  U.S. economy. APHIS has concluded                     increase in their surplus by $387.50
                                                        Uruguay.’’ As written, that paragraph                    that the risk of exposing U.S. livestock              million or 1.14 percent. Cattle producers
                                                        could be interpreted to indicate that not                to FMD via fresh beef imports from                    will experience decline in welfare of
                                                        only beef but also ovine meat could be                   Brazil is sufficiently low so that such               $216.01 million or 8 percent. The
                                                        imported from the exporting region of                    imports are safe.                                     overall impact will be a net welfare gain
                                                        Brazil. Since ovine meat may not be                         The United States is the largest beef              of $358.36 million or 1 percent for
                                                        imported from Brazil under § 94.29, we                   producer in the world, and yet still                  producers and consumers in the beef
                                                        have edited the paragraph in this final                  imports a significant quantity. Annual                processing sector. For the combined
                                                        rule to read as follows: ‘‘The meat is: (1)              U.S. beef import volumes from 1999 to                 beef and cattle sectors, there will be a
                                                        Beef from Brazil derived from animals                    2013 averaged 0.9 million MT,                         $142 million net welfare gain (0.36
                                                        that have been born, raised, and                         equivalent to 11 percent of U.S.                      percent net benefit).
                                                        slaughtered in the exporting region of                   production. Much of the beef imported                    The 20,000 MT and 65,000 MT
                                                        Brazil; or (2) Beef or ovine meat from                   by the United States is from grass-fed                scenarios show similar welfare impacts,
                                                        Uruguay derived from animals that have                   cattle, and is processed with trimmings               with net benefits increasing broadly in
                                                        been born, raised, and slaughtered in                    from U.S. grain-fed cattle to make                    proportion to the quantity of beef
                                                        Uruguay.’’                                               ground beef. Australia, Canada, and                   imported. The largest impact will be for
                                                                                                                 New Zealand are the main foreign                      the beef sector, but consumers of pork
                                                          Therefore, for the reasons given in the
                                                                                                                 suppliers of beef to the United States.               and poultry meat sectors will benefit
                                                        proposed rule and in this document, we                      Effects of the final rule are estimated
                                                        are adopting the proposed rule as a final                                                                      negligibly. While most of the
                                                                                                                 using a partial equilibrium model of the              establishments that will be affected by
                                                        rule, with the change discussed in this                  U.S. agricultural sector. Economic
                                                        document.                                                                                                      this rule are small entities, based on the
                                                                                                                 impacts are estimated based on intra-                 results of this analysis, APHIS does not
                                                        Executive Orders 12866 and 13563 and                     sectoral linkages among the grain,                    expect the impacts on small entities to
                                                        Regulatory Flexibility Act                               livestock, and livestock product sectors.             be significant.
                                                                                                                 Annual imports of fresh (chilled or
                                                           This final rule has been determined to                frozen) beef from Brazil are expected to              Executive Order 12988
                                                        be economically significant for the                      range between 20,000 and 65,000 MT,                      This final rule has been reviewed
                                                        purposes of Executive Order 12866 and,                   with volumes averaging 40,000 MT.                     under Executive Order 12988, Civil
                                                        therefore, has been reviewed by the                      Quantity, price, and welfare changes are              Justice Reform. This rule: (1) Preempts
                                                        Office of Management and Budget.                         estimated for three import scenarios.                 all State and local laws and regulations
                                                           We have prepared an economic                          The results are presented as average                  that are inconsistent with this rule; (2)
                                                        analysis for this rule. The economic                     annual effects for the 4-year period,                 has no retroactive effect; and (3) does
                                                        analysis provides a cost-benefit analysis,               2015–2018.                                            not require administrative proceedings
                                                        as required by Executive Orders 12866                       A portion of the beef imported from                before parties may file suit in court
                                                        and 13563, which direct agencies to                      Brazil will displace beef that would                  challenging this rule.
                                                        assess all costs and benefits of available               otherwise be imported from other
                                                        regulatory alternatives and, if regulation               countries. The model indicates that the               National Environmental Policy Act
                                                        is necessary, to select regulatory                       net annual increase in U.S. fresh beef                   An environmental assessment and
                                                        approaches that maximize net benefits                    imports will be 15,894 MT (79 percent                 finding of no significant impact have
                                                        (including potential economic,                           of 20,000 MT) under the 20,000 MT                     been prepared for this final rule. The
                                                        environmental, public health and safety                  scenario; 32,000 MT (80 percent of                    environmental assessment provides a
                                                        effects, and equity). Executive Order                    40,000 MT) under the 40,000 MT                        basis for the conclusion that the
                                                        13563 emphasizes the importance of                       scenario; and 52,654 (81 percent of                   importation of fresh beef from a region
                                                        quantifying both costs and benefits, of                  65,000 MT) under the 65,000 MT                        in Brazil under the conditions specified
                                                        reducing costs, of harmonizing rules,                    scenario.                                             in this rule will not have a significant
                                                        and of promoting flexibility. The                           If the United States imports 40,000                impact on the quality of the human
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                                                        economic analysis also provides a final                  MT of beef from Brazil, total U.S. beef               environment. Based on the finding of no
                                                        regulatory flexibility analysis that                     imports will increase by 2.8 percent.                 significant impact, the Administrator of
                                                        examines the potential economic effects                  Due to the supply increase, the                       the Animal and Plant Health Inspection
                                                        of this rule on small entities, as required              wholesale price of beef, the retail price             Service has determined that an
                                                        by the Regulatory Flexibility Act. The                   of beef, and the price of cattle (steer) are          environmental impact statement need
                                                        economic analysis is summarized                          estimated to decline by 0.65, 0.26, and               not be prepared.
                                                        below. Copies of the full analysis are                   0.70 percent, respectively. U.S beef                     The environmental assessment and
                                                        available on the Regulations.gov Web                     production will decline by 0.03 percent               finding of no significant impact were
                                                        site (see footnote 1 in this document for                while U.S. beef consumption and                       prepared in accordance with: (1) The
                                                        a link to Regulations.gov) or by                         exports will increase by 0.2 and 0.7                  National Environmental Policy Act of


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                                                        37934                Federal Register / Vol. 80, No. 127 / Thursday, July 2, 2015 / Rules and Regulations

                                                        1969 (NEPA), as amended (42 U.S.C.                        PART 94—RINDERPEST, FOOT-AND-                         establishment, with no evidence found
                                                        4321 et seq.), (2) regulations of the                     MOUTH DISEASE, NEWCASTLE                              of vesicular disease.
                                                        Council on Environmental Quality for                      DISEASE, HIGHLY PATHOGENIC                               (f) The meat consists only of bovine
                                                        implementing the procedural provisions                    AVIAN INFLUENZA, AFRICAN SWINE                        parts or ovine parts that are, by standard
                                                        of NEPA (40 CFR parts 1500–1508), (3)                     FEVER, CLASSICAL SWINE FEVER,                         practice, part of the animal’s carcass
                                                        USDA regulations implementing NEPA                        SWINE VESICULAR DISEASE, AND                          that is placed in a chiller for maturation
                                                        (7 CFR part 1b), and (4) APHIS’ NEPA                      BOVINE SPONGIFORM
                                                        Implementing Procedures (7 CFR part                                                                             after slaughter. The bovine and ovine
                                                                                                                  ENCEPHALOPATHY: PROHIBITED
                                                        372).                                                                                                           parts that may not be imported include
                                                                                                                  AND RESTRICTED IMPORTATIONS
                                                           The environmental assessment and                                                                             all parts of the head, feet, hump, hooves,
                                                        finding of no significant impact may be                   ■ 1. The authority citation for part 94               and internal organs.
                                                        viewed on the Regulations.gov Web                         continues to read as follows:                            (g) All bone and visually identifiable
                                                        site.4 Copies of the environmental                          Authority: 7 U.S.C. 450, 7701–7772, 7781–           blood clots and lymphoid tissue have
                                                        assessment and finding of no significant                  7786, and 8301–8317; 21 U.S.C. 136 and                been removed from the meat.
                                                        impact are also available for public                      136a; 31 U.S.C. 9701; 7 CFR 2.22, 2.80, and
                                                        inspection at USDA, Room 1141, South                                                                               (h) The meat has not been in contact
                                                                                                                  371.4.
                                                        Building, 14th Street and Independence                                                                          with meat from regions other than those
                                                        Avenue SW., Washington, DC, between                       § 94.1   [Amended]                                    listed under § 94.1(a).
                                                        8 a.m. and 4:30 p.m., Monday through                      ■ 2. In § 94.1, paragraphs (b)(4) and (d),               (i) The meat comes from carcasses
                                                        Friday, except holidays. Persons                          introductory text, are amended by                     that were allowed to maturate at 40 to
                                                        wishing to inspect copies are requested                   removing the words ‘‘from Uruguay’’.                  50 °F (4 to 10 °C) for a minimum of 24
                                                        to call ahead on (202) 799–7039 to                        ■ 3. Section 94.29 is revised to read as              hours after slaughter and that reached a
                                                        facilitate entry into the reading room. In                follows:                                              pH below 6.0 in the loin muscle at the
                                                        addition, copies may be obtained by                                                                             end of the maturation period.
                                                        writing to the individual listed under                    § 94.29 Restrictions on importation of
                                                                                                                  fresh (chilled or frozen) beef from Brazil and
                                                                                                                                                                        Measurements for pH must be taken at
                                                        FOR FURTHER INFORMATION CONTACT.                                                                                the middle of both longissimus dorsi
                                                                                                                  fresh beef and ovine meat from Uruguay.
                                                        Paperwork Reduction Act                                      Notwithstanding any other provisions               muscles. Any carcass in which the pH
                                                          In accordance with section 3507(d) of                   of this part, fresh (chilled or frozen) beef          does not reach less than 6.0 may be
                                                        the Paperwork Reduction Act of 1995                       from a region in Brazil composed of the               allowed to maturate an additional 24
                                                        (44 U.S.C. 3501 et seq.), the information                 States of Bahia, Distrito Federal, Espı́rito          hours and be retested, and, if the carcass
                                                        collection or recordkeeping                               Santo, Goiás, Mato Grosso, Mato Grosso               still has not reached a pH of less than
                                                        requirements included in this final rule,                 do Sul, Minas Gerais, Paraná, Rio                    6.0 after 48 hours, the meat from the
                                                        which were filed under 0579–0414,                         Grande do Sul, Rio de Janeiro,                        carcass may not be exported to the
                                                        have been submitted for approval to the                   Rondônia, São Paulo, Sergipe, and                   United States.
                                                        Office of Management and Budget                           Tocantins, and fresh (chilled or frozen)                 (j) An authorized veterinary official of
                                                        (OMB). When OMB notifies us of its                        beef and ovine meat from Uruguay may                  the government of the exporting region
                                                        decision, if approval is denied, we will                  be exported to the United States under                certifies on the foreign meat inspection
                                                        publish a document in the Federal                         the following conditions:                             certificate that the above conditions
                                                        Register providing notice of what action                    (a) The meat is:                                    have been met.
                                                        we plan to take.                                            (1) Beef from Brazil derived from
                                                                                                                  animals that have been born, raised, and                 (k) The establishment in which the
                                                        E-Government Act Compliance                                                                                     bovines and sheep are slaughtered
                                                                                                                  slaughtered in the exporting region of
                                                           The Animal and Plant Health                            Brazil, or                                            allows periodic on-site evaluation and
                                                        Inspection Service is committed to                          (2) Beef or ovine meat from Uruguay                 subsequent inspection of its facilities,
                                                        compliance with the E-Government Act                      derived from animals that have been                   records, and operations by an APHIS
                                                        to promote the use of the Internet and                    born, raised, and slaughtered in                      representative.
                                                        other information technologies, to                        Uruguay.
                                                        provide increased opportunities for                                                                             (Approved by the Office of Management and
                                                                                                                    (b) Foot-and-mouth disease has not                  Budget under control numbers 0579–0372
                                                        citizen access to Government                              been diagnosed in the exporting region                and 0579–0414)
                                                        information and services, and for other                   of Brazil or in Uruguay within the
                                                        purposes. For information pertinent to                    previous 12 months.                                     Done in Washington, DC, this 26th day of
                                                        E-Government Act compliance related                         (c) The meat comes from bovines or                  June 2015.
                                                        to this rule, please contact Ms. Kimberly                 sheep that originated from premises                   Gary Woodward,
                                                        Hardy, APHIS’ Information Collection                      where foot-and-mouth disease has not                  Deputy Under Secretary for Marketing and
                                                        Coordinator, at (301) 851–2727.                           been present during the lifetime of any               Regulatory Programs.
                                                        List of Subjects in 9 CFR part 94                         bovines and sheep slaughtered for the                 [FR Doc. 2015–16337 Filed 7–1–15; 8:45 am]
                                                                                                                  export of beef and ovine meat to the                  BILLING CODE 3410–34–P
                                                          Animal diseases, Imports, Livestock,                    United States.
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                                                        Meat and meat products, Milk, Poultry                       (d) The meat comes from bovines or
                                                        and poultry products, Reporting and                       sheep that were moved directly from the
                                                        recordkeeping requirements.                               premises of origin to the slaughtering
                                                          Accordingly, we are amending 9 CFR                      establishment without any contact with
                                                        part 94 as follows:                                       other animals.
                                                                                                                    (e) The meat comes from bovines or
                                                          4 Go to http://www.regulations.gov/
                                                                                                                  sheep that received ante-mortem and
                                                        #!docketDetail;D=APHIS-2009-0017. The
                                                        environmental assessment and finding of no
                                                                                                                  post-mortem veterinary inspections,
                                                        significant impact will appear in the resulting list      paying particular attention to the head
                                                        of documents.                                             and feet, at the slaughtering


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Document Created: 2015-12-15 13:16:15
Document Modified: 2015-12-15 13:16:15
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionFinal rule.
DatesEffective August 31, 2015.
ContactDr. Silvia Kreindel, Senior Staff Veterinarian, Regional Evaluation Services Staff, National Center for Import and Export, VS, APHIS, 4700 River Road Unit 38, Riverdale, MD 20737-1231; (301) 851-3313.
FR Citation80 FR 37923 
RIN Number0579-AD41

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