81_FR_92967 81 FR 92723 - Poultry Grower Ranking Systems

81 FR 92723 - Poultry Grower Ranking Systems

DEPARTMENT OF AGRICULTURE
Grain Inspection, Packers and Stockyards Administration

Federal Register Volume 81, Issue 244 (December 20, 2016)

Page Range92723-92740
FR Document2016-30429

The Department of Agriculture's (USDA) Grain Inspection, Packers and Stockyards Administration (GIPSA), Packers and Stockyards Program (P&SP) is proposing to amend the regulations issued under the Packers and Stockyards Act, 1921, as amended and supplemented (P&S Act). The proposed amendments will identify criteria that the Secretary may consider when determining whether a live poultry dealer's use of a poultry grower ranking system for ranking poultry growers for settlement purposes is unfair, unjustly discriminatory, or deceptive or gives an undue or unreasonable preference, advantage, prejudice, or disadvantage. The proposed amendments will also clarify that absent demonstration of a legitimate business justification, failing to use a poultry grower ranking system in a fair manner after applying the identified criteria is unfair, unjustly discriminatory, or deceptive and a violation of section 202(a) of the P&S Act regardless of whether it harms or is likely to harm competition.

Federal Register, Volume 81 Issue 244 (Tuesday, December 20, 2016)
[Federal Register Volume 81, Number 244 (Tuesday, December 20, 2016)]
[Proposed Rules]
[Pages 92723-92740]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-30429]


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DEPARTMENT OF AGRICULTURE

Grain Inspection, Packers and Stockyards Administration

9 CFR Part 201

RIN 0580-AB26


Poultry Grower Ranking Systems

AGENCY: Grain Inspection, Packers and Stockyards Administration, USDA.

ACTION: Proposed rule.

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SUMMARY: The Department of Agriculture's (USDA) Grain Inspection, 
Packers and Stockyards Administration (GIPSA), Packers and Stockyards 
Program (P&SP) is proposing to amend the regulations issued under the 
Packers and Stockyards Act, 1921, as amended and supplemented (P&S 
Act). The proposed amendments will identify criteria that the Secretary 
may consider when determining whether a live poultry dealer's use of a 
poultry grower ranking system for ranking poultry growers for 
settlement purposes is unfair, unjustly discriminatory, or deceptive or 
gives an undue or unreasonable preference, advantage, prejudice, or 
disadvantage. The proposed amendments will also clarify that absent 
demonstration of a legitimate business justification, failing to use a 
poultry grower ranking system in a fair manner after applying the 
identified criteria is unfair, unjustly discriminatory, or deceptive 
and a violation of section 202(a) of the P&S Act regardless of whether 
it harms or is likely to harm competition.

DATES: We will consider comments we receive by February 21, 2017.

ADDRESSES: We invite you to submit comments on this proposed rule. You 
may submit comments by any of the following methods:
     Mail: M. Irene Omade, GIPSA, USDA, 1400 Independence 
Avenue SW., Room 2542A-S, Washington, DC 20250-3613.
     Hand Delivery or Courier: M. Irene Omade, GIPSA, USDA, 
1400 Independence Avenue SW., Room 2542A-S, Washington, DC 20250-3613.
     Internet: http://www.regulations.gov. Follow the on-line 
instructions for submitting comments.
    Instructions: All comments should make reference to the date and 
page number of this issue of the Federal Register. Regulatory analyses 
and other documents relating to this rulemaking will be available for 
public inspection in Room 2542A-S, 1400 Independence Avenue SW., 
Washington, DC 20250-3613 during regular business hours. All comments 
received will be included in the public docket without change, 
including any personal information provided. All comments will be 
available for public inspection in the above office during regular 
business hours (7 CFR 1.27(b)). Please call the Management and Budget 
Services staff of GIPSA at (202) 720-8479 to arrange a public 
inspection of comments or other documents related to this rulemaking.

FOR FURTHER INFORMATION CONTACT: S. Brett Offutt, Director, Litigation 
and Economic Analysis Division, P&SP, GIPSA, 1400 Independence Ave. 
SW., Washington, DC 20250-3601, (202) 720-7051, 
[email protected].

SUPPLEMENTARY INFORMATION:

[[Page 92724]]

Background on Prior Rulemaking

    GIPSA previously published a notice of proposed rulemaking on June 
22, 2010, which included requirements regarding a live poultry dealer's 
use of a poultry grower ranking system when determining payment for 
grower services. That proposed rule would have required live poultry 
dealers paying growers on a tournament system to pay growers raising 
the same type and kind of poultry the same base pay and further 
required that growers be settled in groups with other growers with like 
house types. Upon review of public comments received both in writing 
and through public meetings held during the comment period in 2010, we 
have elected not to publish this rule as a final rule, but rather have 
modified proposed Sec.  201.214 and are publishing it as a proposed 
rule and requesting further public comment.

Background on Current Rulemaking

    The P&S Act (7 U.S.C. 181 et seq.) sets forth broad prohibitions on 
the conduct of entities operating subject to its jurisdiction. For 
example, section 202(a) of the P&S Act prohibits packers, swine 
contractors, and live poultry dealers from engaging in any unfair, 
unjustly discriminatory, or deceptive practices. 7 U.S.C. 192(a). 
Section 202(b) of the P&S Act prohibits packers, swine contractors, and 
live poultry dealers from making or giving any undue or unreasonable 
preference or advantage to any particular person, or subjecting any 
particular person to any undue or unreasonable prejudice or 
disadvantage. 7 U.S.C. 192(b). These broad provisions, which have not 
previously been interpreted in regulations, make enforcement difficult 
and create uncertainty among industry participants regarding 
compliance.
    GIPSA is proposing these regulations to clarify when certain 
conduct in the poultry industry related to poultry grower ranking 
systems violates sections 202(a) or 202(b) of the P&S Act. A poultry 
grower ranking system, sometimes called a ``tournament,'' is the 
process used by live poultry dealers to determine final payment to 
poultry growers upon settlement of each flock. Under a poultry grower 
ranking system, growers whose flocks are slaughtered during the same 
settlement week are paid according to a structure that compares 
growers' feed efficiency and live weight of the grown birds delivered 
to the plant. Growers with better performance according to a live 
poultry dealer's standards are ranked higher than growers with lower 
performance and, therefore, receive more compensation.
    Poultry grower ranking systems are widely used by live poultry 
dealers operating as vertically integrated companies. The vertically 
integrated company is responsible for every step of the poultry 
production process except the raising and caring of the live birds 
meant for slaughter. Independent farmers, acting as contractors and 
referred to as ``poultry growers,'' perform this function. The 
vertically integrated live poultry dealer provides the chicks,\1\ feed, 
and medication to poultry growers who house and feed the birds under a 
contract. The poultry grower grows the birds to market size (preferred 
weight for slaughter) and then, after slaughter, receives a settlement 
check for that flock. The payment received depends on how efficiently 
the poultry grower converted feed to meat as compared to the other 
poultry growers in the settlement group.
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    \1\ Poultry grower ranking systems are used extensively in 
broiler production. The ranking systems are also used in turkey 
production. References in this document to chicks, chickens, or 
broilers are also relevant to the use of grower ranking systems in 
turkey production.
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    GIPSA has received complaints from poultry growers alleging unfair 
treatment in poultry grower ranking systems. Many of the underlying 
factors in these complaints were shared with GIPSA in the comments to 
the 2010 proposed rule. The 2010 proposed rule (Sec.  201.214) would 
have required live poultry dealers paying growers on a tournament 
system to pay growers raising the same type and kind of poultry the 
same base pay and further required that growers be settled in groups 
with other growers with like house types. Comments in favor of the 
proposed rule most often cited the imbalance in power and control 
between the poultry companies and the growers. Most common among the 
reasons for supporting the proposed rule was the control the poultry 
company has over inputs. Growers have no control over numerous inputs 
that ultimately determine pay. In particular, the poultry companies 
control the following inputs and production variables: Chick health, 
number of chicks placed, feed quality, medications, growout time, breed 
and type of bird, weighing of the birds, and weighing of the feed. 
Commenters complained that the poultry grower ranking system is a poor 
indicator of the grower's abilities and performance in growing 
chickens. One commenter pointed out that bird age can vary as much as 9 
days in a group. Due to the relatively short growing period for 
poultry, there can be significant differences in bird size, and as a 
result, grower pay, in birds just a few days apart in age. Comments 
also expressed concern that company employees who are also poultry 
growers get preferential treatment and may get better birds or get to 
keep flocks longer.
    Comments opposed to the proposed rule overwhelmingly cited the loss 
of the incentive for growers to perform. For example, commenters 
complained that ``there will be no incentive available for above-
average growers,'' ``the pay system rewards the ones who strive to do 
best,'' it ``will take money from the most progressive growers,'' and 
``is grossly unfair to the most productive and successful growers, only 
benefits the least productive and least successful.'' Those opposed to 
the proposed rule commented that everyone should not be paid the same, 
that competition is good for the industry, and that those that spend 
money and expend effort should be rewarded. Some commenters stated 
there will not be enough like houses to group together for ranking 
purposes.
    A few commenters offered recommendations. Specifically, they 
suggested ``same type and kind'' of poultry should be defined as same 
breed, age range, sex, and target weight. Also, they suggested that the 
base pay rate should reflect grower's cost of production plus a 
reasonable rate of return. Other commenters suggested that GIPSA should 
clarify that incentive pay would still be allowed under the proposed 
rule. In GIPSA's experience reviewing live poultry dealer records, some 
poultry companies use the base pay as the minimum pay rate, so 
implementing the provision regarding base pay would not be difficult. 
Several comments said that ``like house type'' was poorly defined. 
Depending on the interpretation, there could be many different 
categories of like house types in which case, there could be very few 
growers in a given settlement group.
    Commenters critical of the poultry grower ranking system focused on 
the live poultry dealer's control over the inputs. Inputs and other 
factors influencing performance and pay are not equal among growers. 
Commenters noted that variations in chicks, feed, and medications have 
a significant influence on the poultry grower's performance, but the 
grower has no control or influence over the quality of those inputs. As 
an example, one comment stated that male chickens have higher average 
weight gain than female chickens. Therefore, if one grower gets a 
higher percentage of male chickens than other growers, that grower 
could

[[Page 92725]]

have an advantage in the ranking system over growers who receive all or 
a higher percentage of female chickens. The breed of the poultry is 
also a factor. Growers who receive a breed that does not perform as 
well, due to the characteristics of that breed, are disadvantaged 
compared to growers who receive a better-performing breed. Another 
factor noted by commenters was the age of the breeder flock and that 
chicks from breeder hens that are very young or very old are known to 
be inferior to chicks from hens that are of prime egg-laying age. 
Commenters stated that poultry growers who get all or a higher 
percentage of chicks from very old or very young breeder hens are at a 
disadvantage compared to growers who receive chicks from hens in the 
prime weeks of laying good eggs. Citing these examples, commenters 
pointed out the ways live poultry dealers could give preferential 
treatment to some growers by delivering superior chicks to their farms.
    Other comments focused on the quantity and quality of feed. One 
poultry grower commented about the effect on rankings when the live 
poultry dealer assumes that the grower receives more feed than the live 
poultry dealer actually delivered. The grower explained that a 200 
pound under-delivery of feed in a system where production costs are 
averaged to ten-thousandths of a cent, would affect the rankings and 
cause the grower to be paid less than other growers in the settlement 
group. Another grower commented that he had received a delivery of bad 
feed that made the chickens sick. Although the live poultry dealer 
replaced the bad or spoiled feed, the damage had been done and the 
grower's flock ranked at the bottom of the poultry grower ranking for 
that settlement group. These commenters were expressing their 
frustration with the poultry grower ranking system that relied on 
inputs over which they had no control.
    Recognizing that not all inputs are the same, in proposed new Sec.  
201.214, GIPSA is not proposing that all poultry growers receive the 
same quality inputs, or that growers only be ranked in settlement 
groups where all growers receive the same quality inputs. In each 
settlement group, it is very likely that the live poultry dealer will 
place chicks on some farms that are inferior to other chicks simply due 
to the variation in the birds. Likewise, feed quality or the delivery 
quantity may vary.
    Unlike the proposed rule published in 2010 regarding poultry grower 
ranking systems, this proposed rule would not prohibit or prescribe 
certain conduct, nor would it prescribe specific payment to be made to 
growers. Instead, after consideration of the comments received, we are 
proposing a rule that encourages better sharing of information with 
growers and fairness in areas under a live poultry dealer's control. 
Proposed new Sec.  201.214 sets forth criteria that the Secretary may 
consider to determine whether live poultry dealers have used the 
poultry grower ranking system in a manner that violates sections 202(a) 
or (b) of the P&S Act.
    Proposed new Sec.  201.214, ``Poultry Grower Ranking Systems'' 
would establish a non-exhaustive list of criteria the Secretary may 
consider when determining whether a live poultry dealer has violated 
the P&S Act with respect to the use of a poultry grower ranking system. 
Under proposed Sec.  201.214(a), the Secretary may consider whether the 
grower is provided enough information to make informed decisions 
regarding the grower's poultry production operation. Such information 
would include the anticipated number of flocks per year and the average 
gross income from each flock. Because most growers borrow substantial 
sums of money to build and upgrade houses to meet the live poultry 
dealer's specifications, a grower would want a contract of sufficient 
length and with sufficient poultry production to repay the loan. For 
that reason, it is important for the poultry grower to know the 
anticipated average gross income from each flock in order to plan 
accordingly for future earnings and investments. Live poultry dealers 
should disclose information necessary to enable the grower to make 
informed decisions.
    Under proposed Sec.  201.214(b), the Secretary may consider whether 
a live poultry dealer supplies inputs (e.g., birds, feed, and 
medication) of comparable quality and quantity to all poultry growers 
in the ranking group. When considering the inputs provided by the live 
poultry dealer to the poultry grower and the growout specifications 
established for the poultry grower, GIPSA does not require uniformity, 
but rather fairness among the growers in a settlement group. Growers 
are not paid based solely on their individual performance, but as 
compared to other growers in a settlement group. When a grower received 
inputs of either superior or inferior quality as compared to the inputs 
provided to other growers, that grower may be at either an advantage or 
disadvantage when flocks are settled depending on the quality of the 
inputs received. Under proposed Sec.  201.214(b), the Secretary may 
also consider whether there is a pattern of supplying inferior inputs 
(e.g., birds, feed, and medication) to one or more poultry growers in 
the ranking group. With regards to supplying inferior birds, as 
discussed above, lower quality chicks may result from very young or 
very old breeder hens, from a poultry breed that does not perform as 
well as other breeds in the growout, or for other reasons. If a poultry 
grower consistently receives lower quality or inferior chicks, the 
grower will experience higher mortality rates and lower efficiency. The 
grower will rank lower in the settlement group and receive less 
compensation as compared to the other growers in the settlement group. 
Similarly, if a poultry grower receives lower quality feed, or if the 
grower receives less feed than the quantity used to calculate payment, 
the grower's performance will suffer as compared to other growers in 
the settlement group. Also, if a grower's flock needs medication, but 
the live poultry dealer fails to provide the medication, or if one 
flock is placed on a different treatment schedule, the flock 
performance may suffer as compared to other flocks in the settlement 
group. Under proposed Sec.  201.214(c), the Secretary may consider 
additional company-controlled factors that could affect a grower's 
performance in a settlement group.
    Proposed Sec.  201.214(d) provides that the Secretary may consider 
whether the live poultry dealer has demonstrated a legitimate business 
justification for conduct that may otherwise be unfair, unjustly 
discriminatory, or deceptive, or that gives an undue or unreasonable 
preference or advantage to any poultry grower or subjects any poultry 
grower to an undue or unreasonable prejudice or disadvantage. A 
legitimate business justification for certain conduct may be sufficient 
to find that the conduct does not violate the P&S Act. We request 
comment on the types of conduct that might be considered for a 
legitimate business justification, in order to give further context to 
this provision in the final rule.
    Concurrent with the publication of this proposed rule, GIPSA is 
also proposing another rule in this issue of the Federal Register that, 
among other things, would clarify the conduct or action by packers, 
swine contractors, or live poultry dealers that GIPSA considers unfair, 
unjustly discriminatory, or deceptive and a violation of section 202(a) 
of the P&S Act. Specifically, this proposed rule includes Sec.  
201.210, ``Unfair, unjustly discriminatory, or deceptive practices or 
devices by packers, swine contractors, or live poultry dealers,'' which 
includes in paragraph (b) a non-exhaustive list of conduct or action 
that, absent

[[Page 92726]]

demonstration of a legitimate business justification, GIPSA believes is 
unfair, unjustly discriminatory, or deceptive and a violation of 
section 202(a) of the P&S Act, regardless of whether the conduct harms 
or is likely to harm competition. Currently, proposed Sec.  201.210(b) 
contains nine examples. In this rule, GIPSA is proposing to add to 
proposed Sec.  201.210(b) a tenth example, Sec.  201.210(b)(10) GIPSA 
also considers a live poultry dealer's failure to use a poultry grower 
ranking system in a fair manner after applying the criteria in Sec.  
201.214 to be an unfair, unjustly discriminatory, or deceptive practice 
or device and a violation of section 202(a) of the P&S Act regardless 
of whether it harms or is likely to harm competition.

IV. Required Impact Analyses

Executive Order 12866 and Regulatory Flexibility Act

    This rulemaking has been determined to be significant for the 
purposes of Executive Order 12866 and, therefore, has been reviewed by 
the Office of Management and Budget. As a required part of the 
regulatory process, GIPSA prepared an economic analysis of proposed 
Sec.  201.214. The first section of the analysis is an introduction and 
discussion of the prevalence of contracting in the poultry industry as 
well as a discussion of potential market failures. Next, GIPSA 
discusses three regulatory alternatives it considered and presents a 
summary cost-benefit analysis of each alternative. GIPSA then discusses 
the impact on small businesses.

Introduction

    GIPSA issued a proposed rule on June 22, 2010, which included Sec.  
201.214. GIPSA has revised the 2010 version of Sec.  201.214 and is now 
proposing a new Sec.  201.214. The rule GIPSA proposed on June 22, 
2010, included several requirements regarding live poultry dealers' use 
of tournament systems. That section of the proposed rule would have 
required live poultry dealers paying growers on a tournament system to 
pay growers raising the same type and kind of poultry the same base 
compensation and further required that growers be settled in groups 
with other growers with like house types. The rule also prohibited live 
poultry dealers from offering poultry growing arrangements containing 
provisions that decrease or reduce grower compensation below the base 
compensation amount.
    Upon review of public comments received both in writing and through 
public meetings held during the comment period in 2010, GIPSA elected 
not to publish this rule as a final rule and has removed the 
requirements and prohibitions in the rule proposed on June 22, 2010.
    GIPSA has re-written Sec.  201.214 and is proposing this regulation 
to establish criteria the Secretary may consider in determining whether 
a live poultry dealer has used a poultry grower ranking system to 
compensate poultry growers in an unfair, unjustly discriminatory, or 
deceptive manner, or in a way that gives an undue or unreasonable 
preference or advantage to any poultry grower or subjects any poultry 
grower to an undue or unreasonable prejudice or disadvantage.\2\ 
Coupled with Sec.  201.3(a), which is being published as an interim 
final rule concurrently in this edition of the Federal Register and 
proposed Sec.  201.210(b)(10), which is discussed below, the criteria 
clarify whether a live poultry dealer's use of a poultry grower ranking 
system violates sections 202(a) and/or 202(b) of the P&S Act.
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    \2\ A tournament system is a type of poultry grower ranking 
system.
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    Interim Final Sec.  201.3(a) states that certain conduct or action 
can be found to violate sections 202(a) and/or 202(b) of the P&S Act 
without a finding of harm or likely harm to competition in all cases. 
Proposed Sec.  201.210(b)(10) would add to proposed Sec.  201.210(b), 
which is published as part of a separate proposed rule in this edition 
of the Federal Register, another example of conduct or action by a live 
poultry dealer that absent demonstration of a legitimate business 
justification, GIPSA considers an unfair, unjustly discriminatory, or 
deceptive practice or device and a violation of section 202(a) of the 
P&S Act regardless of whether the conduct or action harms or is likely 
to harm competition. Specifically, proposed Sec.  201.210(b)(10) would 
clarify that absent demonstration of a legitimate business 
justification, GIPSA considers the failure to use a poultry grower 
ranking system in a fair manner after applying the criteria in proposed 
Sec.  201.214 to be an unfair, unjustly discriminatory, or deceptive 
practice or device and a violation of section 202(a) of the P&S Act 
regardless of whether it harms or is likely to harm competition. Since 
Sec.  201.210(b)(10) relies on the criteria in Sec.  201.214, the 
estimated costs and benefits of Sec.  201.210(b)(10) are included in 
the estimated costs and benefits of Sec.  201.214.
    The criteria in proposed Sec.  201.214 would include whether a live 
poultry dealer has provided sufficient information to enable a poultry 
grower to make informed business decisions. The criteria would also 
address whether the inputs, including birds, feed, and medication, 
provided by live poultry dealers to poultry growers are of consistent 
quality and quantity. The criteria would recognize the non-uniformity 
of inputs provided by live poultry dealers to growers and discourage 
the live poultry dealer from consistently providing superior or 
inferior inputs to growers in a manner that consistently affects grower 
compensation. The criteria also would consider whether live poultry 
dealers have provided poultry growers with dissimilar production 
variables such as the density at which the live poultry dealer places 
birds, target bird sizes, and age of birds at slaughter that affects 
the performance and grower ranking. Finally, the criteria would 
consider whether a live poultry dealer has demonstrated a legitimate 
business justification for conduct that may otherwise be unfair, 
unjustly discriminatory, or deceptive or gives an undue or unreasonable 
preference or advantage to any poultry grower or subjects any poultry 
grower to an undue or unreasonable prejudice or disadvantage.

Prevalence of Poultry Contracts and Poultry Grower Ranking Systems

    The production of poultry is highly vertically integrated with live 
poultry dealers owning or controlling most segments of the value chain. 
Live poultry dealers typically own the breeding stock, the hatcheries, 
the feedmills, the live birds, and they own and operate the slaughter 
operations. Live poultry dealers typically contract out the growing 
operations for their live birds to independent poultry growers. Live 
poultry dealers who own or control most segments of the value chain and 
contract out the growing operations of live birds are commonly referred 
to as integrators.\3\
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    \3\ For the purposes of this Regulatory Impact Analysis, the 
terms live poultry dealer and integrator are used interchangeably. 
P&SP has jurisdiction over live poultry dealers, most of which are 
also integrators. The only time the Regulatory Impact Analysis will 
refer to integrators is when another author uses the term integrator 
as in Table 2.
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    Broilers are almost exclusively grown under production contracts. 
In 2012, 96.4% of broilers were grown under contract, while 68.5% of 
turkeys were grown under production contracts. Under a production 
contract, the live poultry dealer provides the poultry grower with many 
inputs including the live chicks, feed, and medications. The poultry 
grower in turn provides the housing, labor, water, electricity, fuel,

[[Page 92727]]

and provides for waste removal. At the end of the grow-out period, the 
live poultry dealer typically picks up the birds for slaughter. The 
payment to the poultry grower for the growing services is often 
determined by a poultry grower ranking system outlined in the 
production contract.
    Under a typical poultry grower ranking system, all growers who grew 
birds that were shipped to the same plant in the same week are grouped 
together for payment purposes. Their cost per pound of live weight is 
averaged using standard costs for chicks and feed. Live poultry dealers 
then rank the growers based on cost. Live poultry dealers typically 
reward growers with lower costs by providing higher compensation for 
their growing services. Live poultry dealers typically provide less 
compensation to growers with higher costs.
    Contracting is an important and prevalent feature in the production 
of poultry. The following table shows the share of poultry, by type, 
produced under contract over the years that the Census of Agriculture 
has published data on commodities raised and delivered under production 
contracts.
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    \4\ Agricultural Census, 2007 and 2012. https://www.agcensus.usda.gov/Publications/2012/Full_Report/Volume_1,_Chapter_1_US/ and https://www.agcensus.usda.gov/Publications/2007/Full_Report/Volume_1,_Chapter_1_US/.

               Table 1--Percentage of Poultry Raised and Delivered Under Production Contracts \4\
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                             Poultry                                   2002            2007            2012
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Broilers (%)....................................................            98.0            96.5            96.4
Turkeys (%).....................................................            41.7            67.7            68.5
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Benefits of Contracting in Agricultural Production and the Poultry 
Industry

    Agricultural production contracts have many benefits. They help 
farmers and livestock producers manage price and production risks, 
elicit the production of products with specific quality attributes by 
tying prices to those attributes, and facilitate the smooth flow of 
commodities to processing plants encouraging more efficient use of farm 
and processing capacities. Agricultural production contracts can also 
lead to improvements in efficiency throughout the supply chain for 
products by providing farmers with incentives to deliver products 
consumers desire and produce products in ways that reduce processing 
costs and, ultimately, retail prices. Poultry production contracts are 
a specific type of agricultural production contract that are widely 
used due to the benefits of growing poultry under production contract 
arrangements.
    There are benefits to both live poultry dealers and poultry growers 
from entering into agricultural production contracts, referred to as 
contract poultry growing arrangements \5\ in the poultry industry. 
Contract poultry growing arrangements allow for a sharing of risk 
between the live poultry dealer and the poultry grower. Contract 
poultry growing arrangements have provided poultry growers with 
predictable income and access to financing to invest in more efficient 
types of houses. More efficient housing may lead to higher compensation 
under poultry grower ranking systems. Contract poultry growing 
arrangements have benefited live poultry dealers by shifting the 
capital expenses of growing poultry to the poultry growers.
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    \5\ Under section 2(a)(9) of the P&S Act, a ``poultry growing 
arrangement'' is defined as ``any growout contract, marketing 
agreement, or other arrangement under which a poultry grower raises 
and cares for live poultry for delivery, in accord with another's 
instructions, for slaughter.''
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    The pervasive use of contract poultry growing arrangements has 
benefited the poultry industry and consumers by increasing the rate of 
adoption of new technology, increasing feed conversion, and increasing 
the ability of the industry to respond to changes in consumer 
demand.\6\ The prevalence of contract poultry growing arrangements in 
the poultry industry is evidence of the benefits to growers, live 
poultry dealers, and consumers.
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    \6\ Vukina, Tomislav, ``Vertical Integration and Contracting in 
the U.S. Poultry Sector,'' Journal of Food Distribution Research, 
July 2001.
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Structural Issues in the Poultry Industry

    As the above discussion highlights, there are important benefits 
associated with the use of agriculture contracts in the poultry 
industry. However, if there are large disparities in the bargaining 
power among contracting parties resulting from size differences between 
contracting parties or the use of market power by one of the 
contracting parties, the contracts may have detrimental effects on one 
of the contracting parties and may result in inefficiencies in the 
marketplace.
    For example, a contract that ties a grower to a single purchaser of 
a specialized commodity, even if the contract provides for fair 
compensation to the grower, still leaves the grower subject to default 
risks should the contractor fail. Another example is a contract that 
covers a shorter term than the life of the capital (a poultry house, 
for example). The grower may face the hold-up risk that the contractor 
(live poultry dealer) may require additional capital investments or may 
impose lower returns at the time of contract renewal. Hold-up risk is a 
potential market failure and is discussed in detail in the next 
section. These risks may be heightened when there are no alternative 
buyers for the grower to switch to, or when the capital investment is 
specific to the original buyer.\7\ Some growers make substantial long-
term capital investments as part of poultry production contracts, 
including land, poultry houses, and equipment. Those investments may 
tie the grower to a single integrator. Costs associated with default 
risks and hold-up risks are important to many growers in the industry. 
The table below shows the number of integrators that broiler growers 
have in their local areas by percent of total farms and by total 
production.
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    \7\ See Vukina and Leegomonchai, Oligopsony Power, Asset 
Specificity, and Hold-Up: Evidence From The Broiler Industry, 
American Journal of Agricultural Economics, 88(3): 589-605 (August 
2006).

[[Page 92728]]



                               Table 4--Integrator Choice for Broiler Growers \8\
----------------------------------------------------------------------------------------------------------------
                                                                                                   Can change to
        Integrators in grower's area \9\               Farms           Birds        Production        another
                                                                                                    integrator
----------------------------------------------------------------------------------------------------------------
Number                                                           Percent of total                     Percent of
                                                                                                           farms
----------------------------------------------------------------------------------------------------------------
1...............................................            21.7            23.4            24.5               7
2...............................................            30.2            31.9            31.7              52
3...............................................            20.4            20.4            19.7              62
4...............................................            16.1            14.9            14.8              71
>4..............................................             7.8             6.7             6.6              77
No Response.....................................             3.8             2.7             2.7              Na
----------------------------------------------------------------------------------------------------------------

    The data in the table show that 52 percent of broiler growers, 
accounting for 56 percent of total production, report having only one 
or two integrators in their local areas. This limited integrator choice 
may accentuate the contract risks. A 2006 survey indicated that growers 
facing a single integrator received 7 to 8 percent less compensation, 
on average, than farmers located in areas with 4 or more 
integrators.\10\ If live poultry dealers already possess some market 
power to force down prices for poultry growing services, some contracts 
can extend that power by raising the costs of entry for new 
competitors, or allowing for price discrimination.\11\
---------------------------------------------------------------------------

    \8\ MacDonald, James M. Technology, Organization, and Financial 
Performance in U.S. Broiler Production. USDA, Economic Research 
Service, June 2014.
    \9\ Percentages were determined from the USDA Agricultural 
Resource Management Survey (ARMS), 2011. ``Respondents were asked 
the number of integrators in their area. They were also asked if 
they could change to another integrator if they stopped raising 
broilers for their current integrator.'' Ibid. p. 30.
    \10\ MacDonald, J. and N. Key. ``Market Power in Poultry 
Production Contracting? Evidence from a Farm Survey.'' Journal of 
Agricultural and Applied Economics. 44(4) (November 2012): 477-490.
    \11\ See, for example, Williamson, Oliver E. Markets and 
Hierarchies: Analysis and Antitrust Implications, New York: The Free 
Press (1975); Edlin, Aaron S. & Stefan Reichelstein (1996) 
``Holdups, Standard Breach Remedies, and Optimal Investment,'' The 
American Economic Review 86(3): 478-501 (June 1996).
---------------------------------------------------------------------------

    Many poultry processing markets face barriers to entry, including: 
(1) Economies of scale; (2) high asset-specific capital costs with few 
alternative uses of the capital; (3) brand loyalty of consumers, 
customer loyalty to the incumbent processors, and high customer 
switching costs; and (4) governmental food safety, bio-hazard, and 
environmental regulations. Consistent with these barriers, there has 
been limited new entry.
    However, an area where entry has been successful is in developing 
and niche markets, such as organic meat and free-range chicken. 
Developing and niche markets have a relatively small consumer market 
that is willing to pay higher prices, which supports smaller plant 
sizes. Niche processors are generally small, however, and do not offer 
opportunities to many producers or growers.
    Economies of scale have resulted in large processing plants in the 
poultry processing industry. Barriers to entry limit the expansion of 
choice for poultry growers who have only one or two integrators in 
their local areas with no potential entrants on the horizon. The 
limited expansion of choice of processors by poultry growers may limit 
contract choices and the bargaining power of growers in negotiating 
contracts.
    One indication of potential market power is industry 
concentration.\12\ The following table shows the level of concentration 
in the poultry slaughtering industry for 2007-2015.
---------------------------------------------------------------------------

    \12\ For additional discussion see MacDonald, J.M. 2016 
``Concentration, contracting, and competition policy in U.S. 
agribusiness,'' Competition Law Review, No. 1-2016: 3-8.
    \13\ These data were compiled from Packers and Stockyards 
industry annual reports, a proprietary data source.

       Table 5--Four-Firm Concentration in Poultry Slaughter \13\
------------------------------------------------------------------------
                  Year                     Broilers (%)     Turkeys (%)
------------------------------------------------------------------------
2007....................................              57              52
2008....................................              57              51
2009....................................              53              58
2010....................................              51              56
2011....................................              52              55
2012....................................              51              53
2013....................................              54              53
2014....................................              51              58
2015....................................              51              57
------------------------------------------------------------------------

    The table above shows the concentration of the four largest broiler 
and turkey processors has remained relatively steady at between 50 and 
60 percent.
    The data in Table 5 are estimates of national concentration and the 
size differences discussed below are also at the national level, but 
the economic markets for poultry may be regional or local, and 
concentration in regional or local areas may be higher than national 
measures.\14\ The data presented earlier in Table 4 highlight this 
issue by showing the limited ability a poultry grower has to switch to 
a different integrator. As a result, national concentration may not 
demonstrate accurately the options poultry growers in a particular 
region actually face.
---------------------------------------------------------------------------

    \14\ MacDonald and Key (2012) Op. Cit. and Vukina and 
Leegomonchai (2006) Op. Cit.
---------------------------------------------------------------------------

    Another factor GIPSA considered in proposing Sec.  201.214 is the 
contrast in size and scale between poultry growers and the live poultry 
dealers they supply. The disparity in size between large oligopsonistic 
buyers and atomistic sellers may lead to market power. The National 
Chicken Council states that in 2016, approximately 35 companies were 
involved in the business of raising, processing, and marketing chicken 
on a vertically integrated basis, while about 25,000 family farmers had 
production contracts with those companies.\15\ That comes to about 714 
family-growers per company. Collectively, the family-growers produced 
about 95 percent of the nearly 9 billion broilers produced in the 
United States in 2015. The other 5 percent were grown on company-owned 
farms. That means the average family-grower produced about 342,000 
broilers. As Table 5 shows, the four largest poultry companies in the 
United States accounted for 51 percent of the broilers processed. That 
means the average volume processed by the four largest poultry 
companies was about 1.15 billion head, which was 3,357 times the 
average family grower's volume.
---------------------------------------------------------------------------

    \15\ http://www.nationalchickencouncil.org/about-the-industry/statistics/broiler-chicken-industry-key-facts/.
---------------------------------------------------------------------------

    As the above discussion highlights, there are large size 
differences between poultry growers and the live poultry dealers which 
they supply. These size differences may contribute to unequal

[[Page 92729]]

bargaining power due to monopsony market power or oligopsony market 
power, or asymmetric information. The result is that the contracts 
bargained between the parties may have detrimental effects on poultry 
growers due to the structural issues discussed above and may result in 
inefficiencies in the marketplace.

Hold-Up as a Potential Market Failure

    Integrators demand investment in fixed assets from the growers. One 
example is specific types of poultry houses and equipment the 
integrator may require the grower to utilize in their growing 
operations. These investments may improve efficiency by more than the 
cost of installation. Typically, the improved efficiency would accrue 
to both the integrator and the grower. The integrator has lower feed 
costs, and the grower performs better relative to other poultry growers 
in a settlement group. If the grower bears the entire cost of 
installation, then the grower should be further compensated for the 
feed conversion gains that accrue to the integrator. The risk is that 
after the assets are installed, the cost to the grower is ``sunk.'' 
This means that if the integrator reneges on paying compensation for 
the additional capital investments, and insists on maintaining the 
lower price, the grower will accept that lower price rather than 
receive nothing. This allows the integrator to get the benefit of 
efficiency gains, at no expense to them, with the grower bearing all of 
the cost. This reneging is termed ``hold-up'' in the economic 
literature.\16\
---------------------------------------------------------------------------

    \16\ See for example, Benjamin Klein, Robert G. Crawford, and 
Armen A. Alchian, ``Vertical Integration, Appropriable Rents, and 
the Competitive Contracting Process,'' The Journal of Law and 
Economics 21, no 2 (Oct., 1978): 297-326.
---------------------------------------------------------------------------

    Hold-up can have two consequences that result in market failures. 
If the growers do not anticipate hold-up, then growers will spend too 
much on investments because the integrator who demands them is not 
incurring any cost. That is inefficient. If the grower does anticipate 
hold-up, they will act as if the integrator was going to renege even 
when it was not, resulting in too little investment and loss of 
potential efficiency gains.
    Hold-up can be resolved with increased competition. If an 
integrator developed a reputation for reneging, and growers could go 
elsewhere, the initial integrator would be punished and disincentivized 
from reneging in the future. Unfortunately, in practice, many growers 
do not have the option of going elsewhere.
    Data shown above in Table 4 indicate that there are few integrators 
in these markets, and that growers have limited choice. Table 5, above, 
indicates the level of concentration in the poultry processing industry 
and shows that integrators operate in concentrated markets.
    This rule would allow growers to file complaints against 
integrators that renege, giving some of the incentive benefit of 
competition, without compromising the efficiency of having few large 
processors. In addition to addressing the potential market failure of 
hold-up, this rule would address inefficiencies due to incomplete and 
asymmetric information in poultry markets. Poultry growers who lack 
adequate information on the expected revenue from a growing arrangement 
may make inefficient investment decisions. For instance, a grower may 
invest too much money in building new houses or purchasing upgrades 
relative to what they would choose if they were fully informed about 
the expected return from those investments. By requiring that growers 
be provided sufficient information to make informed business decisions, 
this rule would help mitigate non-optimal investment by growers and 
improves social welfare.

Contracting, Industry Structure, and Market Failure: Summary of the 
Need for Regulation

    There are benefits of contracting in the poultry industry, as well 
as structural issues that may result in unequal bargaining power and 
market failures. These structural issues and market failures would be 
mitigated by relieving plaintiffs from the requirement to demonstrate 
competitive injury. For instance, contracting parties can alleviate 
hold-up problems if they are able to write complete contracts, and are 
able to litigate to enforce the terms of those contracts when there is 
an attempt to engage in ex-post hold-up. Because proving competitive 
injury is difficult and costly, removing that burden facilitate the use 
of litigation by producers and growers to address violations of the 
Packers and Stockyards Act. If growers are able to seek legal remedies, 
then their contracts would be easier to enforce. This will incentivize 
integrators to avoid exploitation of market power and asymmetric 
information, as well as behaviors that result in the market failure of 
hold-up. The result will be improved efficiency in poultry markets. 
GIPSA has a clear role to ensure that market failures are mitigated so 
that poultry markets remain fair and competitive. Section 201.214 seeks 
to fulfill that role by promoting fairness and equity for poultry 
growers.

Cost-Benefit Analysis of the Proposed Rule

Costs of the Regulations Proposed on June 22, 2010
    GIPSA issued a proposed rule on June 22, 2010, with several new 
regulations, many of which had the potential to impact the poultry 
industry. A brief summary of the regulations proposed in 2010 follows.
     Proposed Sec.  201.3(c) stated that certain conduct may be 
found to violate sections 202(a) and/or 202(b) of the P&S Act without a 
finding of harm or likely harm to competition.
     Proposed Sec.  201.210 would have provided specific 
examples of conduct that violate section 202(a) regardless of whether 
the conduct harms or is likely to harm competition.
     Proposed Sec.  201.211 would have provided specific 
criteria the Secretary may consider when determining whether an undue 
or unreasonable preference or advantage or an undue or unreasonable 
prejudice or disadvantage has occurred in violation of section 202(b) 
of the P&S Act.
     Proposed Sec.  201.213 stated that live poultry dealers 
obtaining poultry under a poultry growing arrangement must submit a 
sample copy of each unique contract or agreement to GIPSA for posting 
on its Web site.
     Proposed Sec.  201.214 would have required live poultry 
dealers paying growers on a tournament system to pay growers raising 
the same type and kind of poultry the same base compensation and 
further required that growers be settled in groups with other growers 
with like house types. Proposed Sec.  201.214 also would have 
prohibited live poultry dealers from offering poultry growing 
arrangements containing provisions that decrease or reduce grower 
compensation below the base compensation amount.
     Proposed Sec.  201.215 would have provided specific 
criteria the Secretary may consider when determining whether a poultry 
grower was provided with reasonable notice prior to suspension of the 
delivery of birds to a poultry grower.
     Proposed Sec.  201.216 would have set forth specific 
criteria the Secretary may consider when determining whether a 
requirement that a poultry grower make additional capital investments 
constitutes an unfair practice in violation of the P&S Act.
     Proposed Sec.  201.217 would have set forth the conditions 
under which a poultry grower may be required to make additional capital 
investments.

[[Page 92730]]

     Proposed Sec.  201.218 would have provided specific 
criteria the Secretary may consider in determining whether a live 
poultry dealer has provided a poultry grower a reasonable period of 
time to remedy a breach of contract.
     Proposed Sec.  201.219 would have provided specific 
criteria the Secretary may consider when determining whether the 
arbitration process in a contract provides a meaningful opportunity for 
the poultry grower to participate fully in the arbitration process.
    GIPSA considered thousands of comments before proposing the current 
version of Sec.  201.214. The following provisions were in the 2010 
rule, but not in the currently proposed regulation.
     Requirement that live poultry dealers paying poultry 
growers on a tournament system pay poultry growers raising the same 
type and kind of poultry the same base compensation, and that poultry 
growers be settled in groups with other poultry growers with like house 
types (Sec.  201.214).
     Prohibition on live poultry dealers from offering growing 
arrangements containing provisions that decrease or reduce poultry 
grower compensation below the base compensation amount (Sec.  
201.214(a)).
     Requirement that live poultry dealers submit sample 
contracts to GIPSA for posting to the public (Sec.  201.213).
    Additionally, GIPSA has adjusted the rule proposed in 2010 to give 
live poultry dealers more flexibility in suspending the delivery of 
birds and requiring capital improvements and those adjustments are 
reflected in current proposed Sec. Sec.  201.215 and 201.216, 
respectively.
    GIPSA is issuing Sec.  201.3(a) as an interim final rule 
concurrently in this issue of the Federal Register. GIPSA has also 
revised and is currently proposing new versions of Sec. Sec.  201.210 
and 201.211 concurrently in a separate proposed rule in this issue of 
the Federal Register. In December 2011, GIPSA issued as a final rule 
Sec. Sec.  201.215, 201.216, 201.217, and 201.218. Proposed Sec.  
201.217, capital investments requirements and prohibitions, was 
removed, and proposed Sec. Sec.  201.218 and 201.219 were renumbered as 
Sec. Sec.  201.217 and 201.218.
    GIPSA has now revised Sec.  201.214 and instead of proscribing 
certain conduct, new proposed Sec.  201.214 would establish criteria 
the Secretary may consider in determining whether a live poultry dealer 
has used a poultry grower ranking system to compensate poultry growers 
in an unfair, unjustly discriminatory, or deceptive manner, or in a way 
that gives an undue or unreasonable preference or advantage to any 
poultry grower or subjects any poultry grower to an undue or 
unreasonable prejudice or disadvantage.
    GIPSA received numerous comments on the proposed rule in 2010. 
Although many thousands of the comments submitted contained general 
qualitative assessments of either the costs or benefits of the proposed 
rule, only two comments systematically described quantitative costs 
across the rule's provisions.
    Comments from the National Meat Association included cost estimates 
by Informa Economics (the Informa Study). The Informa Study estimated 
that the proposed rule would cost the U.S. poultry industry 
approximately $361.6 million.\17\ The Informa Study estimated $26.0 
million for the one-time direct costs of rewriting contracts, 
additional record keeping, etc., $33.4 million for the ongoing direct 
costs, and $302.2 million for cost increases due to efficiency 
losses.\18\ However, these cost estimates assumed all of the 2010 
proposed changes, many of which now do not apply.
---------------------------------------------------------------------------

    \17\ Informa Economics, Inc. ``An Estimate of the Economic 
Impact of GIPSA's Proposed Rules,'' prepared for the National Meat 
Association, 2010, Table 9, Page 53.
    \18\ Ibid. Page 53.
---------------------------------------------------------------------------

    The Informa Study recognized that the economic costs of the 2010 
proposed rule would take time to materialize. The Informa Study 
estimated that only the direct, one-time costs would occur shortly 
after implementation and the more significant impacts, such as 
declining efficiency, would happen more slowly and would not reach the 
full impact until years 3 and 4 in the poultry industry after the rule 
become effective.\19\ Thus, the $361.6 million cost estimate by the 
Informa Study was for when the rule reached its full impact in years 3 
and 4. The Informa Study further recognized that companies would find 
ways to adapt to the provisions of the rule and the impact of the rule 
would decrease after year 4.\20\
---------------------------------------------------------------------------

    \19\ Informa Economics, Inc. ``An Estimate of the Economic 
Impact of GIPSA's Proposed Rules,'' prepared for the National Meat 
Association, 2010, Page 66.
    \20\ Ibid, Page 67.
---------------------------------------------------------------------------

    The Informa Study posited that the several elements in the proposed 
rule would likely alter the integrator-grower relationship in such a 
way as to slow down the adoption of new technologies that increase 
efficiency and reduce costs.\21\ The Informa Study also posited that 
the proposed rule would significantly increase the threat of 
litigation, which would reduce monetary incentives to encourage 
innovation and investment in new technology by growers. The resulting 
slowdown in investment in new and upgraded buildings would negatively 
impact efficiency, measured by feed conversion.
---------------------------------------------------------------------------

    \21\ Ibid. Page 37.
---------------------------------------------------------------------------

    Comments from the National Chicken Council included cost estimates 
prepared by Dr. Thomas E. Elam, President, FarmEcon LLC (the Elam 
Study).\22\ The Elam Study estimated that the proposed rule would cost 
the chicken industry $84 million in the first year increasing to $337 
million in the fifth year, with a total cost of $1.03 billion over the 
first five years.\23\ The Elam Study identified $6 million as one-time 
administrative costs. The study states that most of the costs would be 
indirect costs resulting from efficiency losses,\24\ while more than 
half of the costs estimated would be due to a reduced rate of 
improvement in feed efficiency due to the proposed rule slowing the 
pace of innovation in the poultry industry. For litigation costs, the 
Elam Study concluded that the litigation costs are substantial, but 
unknown. Again, these cost estimates were for all of the 2010 proposed 
changes, many of which now do not apply.
---------------------------------------------------------------------------

    \22\ See Elam, Dr. Thomas E. ``Proposed GIPSA Rules Relating to 
the Chicken Industry: Economic Impact.'' FarmEcon LLC, 2010.
    \23\ Ibid. Page 24
    \24\ Ibid. Page 24
---------------------------------------------------------------------------

    Estimates of the costs in the Informa Study and the Elam Study were 
largely due to business practices that live poultry dealers were 
projected to alter in reaction to the proposed rule rather than changes 
in business practices directly imposed by the rule proposed in 2010. 
For example, the Elam Study expected live poultry dealers to assay (a 
test to determine the quality of feed) each load of feed delivered to 
growers to avoid litigation.\25\
---------------------------------------------------------------------------

    \25\ Elam, Page 18.
---------------------------------------------------------------------------

    GIPSA believes the cost estimates presented in the Informa Study 
and the Elam Study were overstated. The studies relied on interviews 
that queried the willingness of live poultry dealers to alter their 
business practices. The estimates, based on interviews, may overstate 
costs because the live poultry dealers would face adjustment costs from 
the rule proposed in 2010 and had incentives to respond that they would 
discontinue current practices. GIPSA also believes that certain 
adjustments are unlikely to occur. For example, GIPSA believes it is 
unlikely that live poultry dealers would take on the costly

[[Page 92731]]

task of assaying each load of feed solely to avoid litigation.

Cost-Benefit Analysis of Proposed Sec.  201.214

Regulatory Alternatives Considered
    Executive Order 12866 requires an assessment of costs and benefits 
of potentially effective and reasonably feasible alternatives to the 
planned regulation and an explanation of why the planned regulatory 
action is preferable to the identified potential alternatives.\26\ 
GIPSA considered three regulatory alternatives. The first alternative 
that GIPSA considered was to maintain the status quo and not propose 
the rule. The second alternative that GIPSA considered was revising the 
version of Sec.  201.214 that GIPSA published in 2010 and proposing it 
as a new rule. This is GIPSA's preferred alternative as will be 
explained below. The third alternative that GIPSA considered was 
proposing a new version of Sec.  201.214, but instituting a phased 
implementation of the proposed rule. Under this alternative, proposed 
Sec.  201.214 would only take effect when a poultry growing contract 
expires, is replaced, or modified. The costs and benefits of the 
alternatives are discussed in order below.
---------------------------------------------------------------------------

    \26\ See Section 6(a)(3)(C) of Executive Order 12866.
---------------------------------------------------------------------------

Regulatory Alternative 1: Status Quo
    If Sec.  201.214 is never finalized, there are no marginal costs 
and marginal benefits as industry participants will not alter their 
conduct. From a cost standpoint, this is the least cost alternative 
compared to the other two alternatives. This alternative also has no 
marginal benefits. Since there are no changes from the status quo under 
this regulatory alternative, it will serve as the baseline against 
which to measure the other two alternatives.
Regulatory Alternative 2: The Preferred Alternative--Costs of the 
Proposed Rule
    GIPSA expects that the direct costs of proposed Sec.  201.214 would 
consist of the costs of developing a consistency management system, 
providing income projections to poultry growers, keeping additional 
records, and reviewing and re-writing poultry growing contracts to 
ensure that poultry grower ranking systems are not used in an unfair, 
unjustly discriminatory, or deceptive manner or in any way that gives 
an undue or unreasonable preference, advantage, prejudice, or 
disadvantage.
    Based on its expertise regulating the poultry industry over several 
decades, GIPSA does not expect the proposed rule to result in a 
decrease in the use of poultry grower ranking systems, lower capital 
formation, or decreases in efficiencies in the poultry industry. The 
only indirect costs that GIPSA anticipates are the effects of the 
increase in industry costs from the direct costs on supply and demand 
and the resulting quantity and price impacts on the retail market for 
chicken and the related input market for broilers.
    To estimate the costs of the proposed rule, GIPSA divided costs 
into two major categories, direct and indirect costs. GIPSA expects 
that direct costs would be comprised of administrative costs. 
Administrative costs include items such as the following: (1) Providing 
income projections to growers; (2) development of company-specific 
consistency management systems (CMSs) to ensure poultry grower ranking 
systems are not used in an unfair, unjustly discriminatory, or 
deceptive manner or in any way that gives an undue or unreasonable 
preference, advantage, prejudice, or disadvantage; (3) additional 
record keeping; (4) review of written contracts by attorneys and the 
employees of regulated companies; and (5) all other administrative 
office work associated with review of contracts.
    Indirect costs include costs caused by changes in supply and/or 
demand resulting from the proposed rule. Indirect costs also include 
potential efficiency losses due to potential changes in poultry grower 
ranking systems.
Regulatory Alternative 2: Direct Costs--Administrative Costs
    To estimate administrative costs of the proposed rule, GIPSA relied 
on its experience reviewing the operations and business records of live 
poultry dealers, poultry growing contracts, and other business records 
for compliance with the P&S Act and regulations. GIPSA also considered 
the impact of each criterion contained in Sec.  201.214 on 
administrative costs.
    Under Sec.  201.214(a), the Secretary may consider whether a live 
poultry dealer has provided sufficient information to a poultry grower 
to enable the poultry grower to make informed business decisions. Such 
information should include information necessary to calculate the 
expected income from the poultry growing arrangement. Current poultry 
growers who have been compensated for multiple flocks under a poultry 
grower ranking system may already have sufficient information because 
they have already established income patterns by participating in the 
poultry grower ranking system. The criterion in proposed Sec.  
201.214(a) would mainly apply to new growers, those growers switching 
to different live poultry dealers, or to growers considering housing 
upgrades where this information is not already available to the poultry 
grower.
    In the past, live poultry dealers commonly provided prospective 
growers with projection sheets that would provide a grower with 
estimates of the minimum and maximum compensation they could expect 
under a contract. GIPSA's experience conducting investigations and 
compliance reviews in the poultry industry has indicated that not all 
live poultry dealers currently provide projection sheets to poultry 
growers.
    GIPSA expects that it would not be difficult for live poultry 
dealers to develop and provide projection sheets for each contract type 
to all current and prospective growers. GIPSA believes that providing 
projection sheets to growers that contained the minimum, average, and 
maximum compensation they can expect for the contract type they are 
considering or under which they are currently growing would be 
sufficient information to enable the poultry growers to make informed 
business decisions about their future compensation and whether the 
compensation is sufficient to warrant increasing capital investments, 
for example.
    Based on GIPSA's experience regulating live poultry dealers and 
reviewing their records, it developed time estimates for the number of 
hours for company managers and information technology (IT) staff to 
develop new projection sheets or review and revise existing sheets for 
each type of poultry growing contract that contains a poultry grower 
ranking system on which to base grower compensation. GIPSA estimates 
that there are 10 individual contract types for each of the 133 live 
poultry dealers who report to GIPSA. GIPSA also developed time 
estimates for legal staff to review the projection sheets and for the 
company to deliver the projection sheets to all current and prospective 
growers. GIPSA estimates that each projection sheet for each of the 
1,330 unique contract types would take eight hours of management and IT 
time to prepare, and two hours of attorney time to review and rewrite 
the contract. In addition, it will take 0.2 hours of administrative 
time to print, and mail the projection sheets and revised contracts for 
each of the 21,925 individual poultry production contracts of which 
GIPSA is aware. GIPSA multiplied the estimated hours to conduct these 
tasks by the average

[[Page 92732]]

hourly wages for managers and IT staff at $58/hour, attorneys at $83/
hour, and administrative assistants at $34/hour as reported by the U.S. 
Bureau of Labor Statistics in its Occupational Employment 
Statistics.\27\ GIPSA estimates the development and delivery of 
projection sheets to cost the poultry industry $0.99 million.
---------------------------------------------------------------------------

    \27\ All salary costs are based on mean annual 2015 salary 
adjusted for benefit costs, set to an hourly basis. http://www.bls.gov/oes/. Accessed on August 26, 2016.
---------------------------------------------------------------------------

    The criterion in Sec.  201.214(b) permits the Secretary to consider 
whether a live poultry dealer supplies inputs of comparable quality and 
quantity to all poultry growers in the ranking group and whether there 
is a pattern or practice of supplying inferior inputs to one or more 
poultry growers in the ranking group. Inputs include birds, feed, 
medication, and any other input supplied by the live poultry dealer.
    The U.S. Food and Drug Administration (FDA) approves all medication 
that can be administered to broilers that are grown for human 
consumption.\28\ GIPSA believes that live poultry dealers would not 
alter medication to such an extent that inferior medicine is 
consistently supplied to a grower and that this criterion would not be 
costly to the industry.
---------------------------------------------------------------------------

    \28\ http://www.accessdata.fda.gov/scripts/animaldrugsatfda/. 
Accessed on August 26, 2016.
---------------------------------------------------------------------------

    GIPSA also believes that feed provided by live poultry dealers 
would be consistent across a group of growers and that this criterion 
would not be costly to the industry. Feed is produced by live poultry 
dealers at a feedmill and the same batch of feed is distributed to 
growers until more feed is produced and then that feed is distributed. 
The process of the production and distribution of feed ensures 
consistency across the group of growers that receive the same batch of 
feed. Once a batch of feed is produced, live poultry dealers truck it 
to growers according to established routes and schedules. All growers 
on the same route should receive feed of similar quality.
    The chicks supplied by a live poultry dealer to a poultry grower 
have the potential to be inconsistent and GIPSA believes that live 
poultry dealers would have to take action to ensure a poultry grower is 
not consistently supplied with inferior chicks. The factors that affect 
chick quality include the age and breed of the breeder stock and the 
conditions at the hatchery. Hatchery conditions affecting chick quality 
include, hatching egg quality, time of collection, egg storage 
temperature and humidity, incubation temperature, incubator carbon 
dioxide concentration, and chick hatching time in relation to being 
removed from the incubator.\29\
---------------------------------------------------------------------------

    \29\ The University of Georgia Cooperative Extension Service, 
``Hatchery Breeder Tip . . . Chick Quality: An Update,'' May 2005.
---------------------------------------------------------------------------

    It is possible that the rotation of chicks being hatched and 
delivered could result in the same grower(s) receiving inferior chicks 
on a consistent basis. In order to avoid the possibility of consistent 
placement of inferior chicks with the same grower, even if 
unintentional, live poultry dealers would likely respond by designing 
and implementing a CMS to identify and evenly distribute inferior 
chicks.
    GIPSA expects the same CMS to be used to demonstrate that a poultry 
grower ranking system is not used in an unfair, unjustly 
discriminatory, or deceptive manner, or in a way that gives an undue or 
unreasonable preference or advantage to any poultry grower or subjects 
any poultry grower to an undue or unreasonable prejudice or 
disadvantage. Proposed Sec.  201.214(c) would allow the Secretary to 
consider whether a live poultry dealer provides poultry growers with 
dissimilar production variables in the ranking group in a manner that 
affects a poultry grower's compensation. Production variables include, 
but are not limited to, the density at which the live poultry dealer 
places birds, the target slaughter weights of the birds, and bird ages 
that vary by more than seven days. The live production and broiler 
management teams must work together to ensure that medication, bird 
densities, target bird sizes, and the timing of the harvesting of 
flocks does not consistently affect grower rankings. Each live poultry 
dealer, whether large or small, would need to design and implement one 
CMS to cover all of its breeding, hatching, feedmill, and broiler 
operations. This CMS would ensure that growers are not treated 
inconsistently and that there is not a pattern or practice of unfair, 
unjustly discriminatory, or deceptive treatment or undue or 
unreasonable preference, advantage, prejudice, or disadvantage.
    GIPSA relied on its knowledge of the poultry industry to estimate 
the cost of designing and implementing a CMS that could be used by both 
large and small live poultry dealers. GIPSA estimates that it would 
take 640 hours of management and IT staff time to develop a CMS. GIPSA 
estimates it would take 8 hours per live poultry dealer for its legal 
team to review the CMS and 96 hours to train the breeding, hatching, 
and broiler staff how to use the CMS to ensure the uniform distribution 
of inferior chicks. GIPSA multiplied the estimated hours to conduct 
these tasks by the average hourly wages for managers and IT staff at 
$58/hour, attorneys at $83/hour, and administrative assistants at $34/
hour as reported by the U.S. Bureau of Labor Statistics in its 
Occupational Employment Statistics.\30\ GIPSA estimates that if all 133 
live poultry dealers who report operations to GIPSA develop and 
implement a CMS, the cost would total $5.46 million. This estimate 
overstates the cost because some of the 133 live poultry dealers do not 
use a poultry grower ranking system. Rather than risk underestimating 
the potential cost, GIPSA chose to include all 133 live poultry dealers 
in the calculations. We have not estimated any capital costs associated 
with the creation and implementation of a CMS, as we believe that there 
are none or existing equipment would be used; however, we seek comment 
on the validity of this assumption and if commenters disagree with it, 
to provide estimates of the capital costs.
---------------------------------------------------------------------------

    \30\ All salary costs are based on mean annual 2015 salary 
adjusted for benefit costs, set to an hourly basis. http://www.bls.gov/oes/. Accessed on August 26, 2016.
---------------------------------------------------------------------------

    Each live poultry dealer that uses a poultry grower ranking system 
to calculate grower compensation would need to keep additional records 
to demonstrate that poultry grower ranking systems are used in a fair 
manner after applying the criteria in proposed Sec.  201.214. Proposed 
Sec.  201.214(d) allows the Secretary to consider whether a live 
poultry dealer has demonstrated a legitimate business justification for 
use of a poultry grower ranking system in a manner that may otherwise 
be unfair, unjustly discriminatory, or deceptive or gives an undue or 
unreasonable preference or advantage to any poultry grower or subjects 
any poultry grower to an undue or unreasonable prejudice or 
disadvantage.
    Based on GIPSA's knowledge and review of records kept by live 
poultry dealers, GIPSA believes that the live poultry dealers already 
keep very detailed records regarding the performance of each grower. 
The records include all information needed to calculate feed conversion 
such as weights and quantities of inputs provided, and all other data 
used to determine grower performance and compensation. Based on GIPSA's 
experience reviewing these records and the business operations of live 
poultry dealers, GIPSA estimates that live poultry dealers will spend 
an additional 8 hours of time preparing records for

[[Page 92733]]

each poultry contract in order to be able demonstrate that the poultry 
grower ranking system is used in a fair manner after applying the 
criteria in proposed Sec.  201.214. GIPSA has data on the number of 
production contracts between poultry growers and live poultry dealers. 
GIPSA multiplied 8 hours of time by the average hourly wages of $34/
hour as reported by the U.S. Bureau of Labor Statistics in its 
Occupational Employment Statistics \31\ and then multiplied this total 
by the 21,925 individual poultry growing contracts reported to GIPSA by 
live poultry dealers to arrive at $5.96 million for additional record 
keeping costs for live poultry dealers. This record keeping estimate 
includes keeping records to demonstrate legitimate business 
justifications for proposed Sec.  201.214(d).
---------------------------------------------------------------------------

    \31\ Ibid.
---------------------------------------------------------------------------

    Given that proposed Sec.  201.214 is a new regulation, live poultry 
dealers would need to review the contractual language in their existing 
contracts with respect to poultry grower ranking systems to ensure that 
they are used in a fair and non-preferential manner after applying the 
criteria in proposed Sec.  201.214. GIPSA again relied on its 
experience and developed time estimates for the number of hours for 
attorneys and company managers to review and revise verbal and written 
production contracts and for staff to make changes, copy, and obtain 
signed copies of the contracts. For poultry growing contracts, GIPSA 
estimates that each of the 1,330 unique contract types would take 2 
hours of attorney time and 2 hours of company management time to review 
and rewrite, and it would take 2 hours of administrative time to review 
each of the 21,925 individual poultry production contracts. GIPSA 
multiplied the estimated hours to conduct these administrative tasks by 
the average hourly wages for attorneys at $83/hour, managers at $58/
hour, and administrative assistants at $34/hour as reported by the U.S. 
Bureau of Labor Statistics in its Occupational Employment 
Statistics.\32\
---------------------------------------------------------------------------

    \32\ All salary costs are based on mean annual 2015 salary 
adjusted for benefit costs, set to an hourly basis. http://www.bls.gov/oes/. Accessed on August 26, 2016.
---------------------------------------------------------------------------

    GIPSA recognizes that contract review costs would also be borne by 
poultry growers. GIPSA estimates the each grower would spend 1 hour of 
time reviewing a contract and would spend 1 hour of their attorney's 
time to review the contract. GIPSA multiplied 1 hour of grower time and 
1 hour of attorney time to conduct the production contract review by 
the average hourly wages for attorneys at $83/hour and managers at $58/
hour. GIPSA then applied this cost to the 21,925 poultry growing 
contracts that have been reported to GIPSA to arrive at the total 
contract review costs that would be incurred by poultry growers. GIPSA 
then added together the contract review costs by live poultry dealers 
and by poultry growers to arrive at estimated contract review costs of 
$4.96 million for the poultry industry.
    GIPSA then added together all of the estimated types of 
administrative costs and the estimated first-year total administrative 
costs appear in the following table:

   Table 4--First-Year Administrative Costs of Proposed Sec.   201.214
------------------------------------------------------------------------
                Administrative cost type                    $ millions
------------------------------------------------------------------------
Projection Sheet Costs..................................            0.99
Develop Consistency Management System...................            5.46
Industry Record Keeping.................................            5.96
Contract Review Costs...................................            4.96
                                                         ---------------
    Total Industry Administrative Cost..................           17.37
------------------------------------------------------------------------

    The first-year total administrative costs would be $17.37 million 
for the poultry industry. The two largest costs would be industry 
record keeping and the development of CMSs, followed by record keeping 
and the costs of developing projection sheets.

A. Regulatory Alternative 2: Direct Costs--Litigation Costs of the 
Preferred Alternative

    Interim final regulation 201.3(a) will already be in effect if and 
when Sec.  201.214 becomes effective. GIPSA expects that Sec.  201.3(a) 
will result in additional litigation as this rule states that certain 
conduct or action can violate sections 202(a) and/or 202(b) of the P&S 
Act without a harm or likely harm to competition in all cases. Section 
201.3(a) formalizes GIPSA's longstanding position that, in some cases, 
violations of sections 202(a) and 202(b) can be proven without 
demonstrating harm or likely harm to competition. Section 201.214 
provides clarity to the industry by establishing criteria the Secretary 
may consider in determining whether a live poultry dealer has used a 
poultry grower ranking system to compensate poultry growers in an 
unfair, unjustly discriminatory, or deceptive manner, or in a way that 
gives an undue or unreasonable preference or advantage to any poultry 
grower or subjects any poultry grower to an undue or unreasonable 
prejudice or disadvantage.
    Regulation 201.3(a) is broad in nature. Section 201.214 simply 
provides clarity and GIPSA believes that Sec.  201.214 will not lead to 
litigation above that already expected as a result of Sec.  201.3(a). 
Thus, GIPSA considers the additional litigation under Sec.  201.3(a) to 
be the baseline litigation costs for Sec.  201.214 and that the 
litigation costs for Sec.  201.3(a) already include the litigation 
costs of Sec.  201.214. Since those litigation costs have already been 
counted under Sec.  201.3(a), GIPSA does not allocate any additional 
litigation costs to Sec.  201.214 and for the purposes of this RIA, the 
marginal litigation costs are zero.
Regulatory Alternative 2: Total Direct Costs of the Preferred 
Alternative
    The total first-year direct costs of proposed Sec.  201.214 would 
consist of administrative and litigation costs (which are equal to 
zero) from above and they are summarized in the following table.

            Table 5--Direct Costs of Proposed Sec.   201.214
------------------------------------------------------------------------
                        Cost type                          ($ millions)
------------------------------------------------------------------------
Admin Costs.............................................           17.37
Litigation Costs........................................            0.00
                                                         ---------------
    Total Direct Costs..................................           17.37
------------------------------------------------------------------------

    GIPSA estimates that the direct costs of proposed Sec.  201.214 
would be $17.37 million.
Regulatory Alternative 2: Indirect Costs of the Preferred Alternative
    As discussed previously, GIPSA does not expect proposed Sec.  
201.214 to result in a decrease in the use of poultry grower ranking 
systems, lower capital formation, or decreases in efficiencies in the 
poultry industry. The regulation simply establishes the criteria under 
which the Secretary may determine whether live poultry dealers are 
using poultry grower ranking systems in an unfair, unjustly 
discriminatory, or deceptive manner, or in a way that gives an undue or 
unreasonable preference or advantage to any poultry grower or subjects 
any grower to an undue or unreasonable prejudice or disadvantage.
    The only indirect costs that GIPSA anticipates are the effects of 
the increase in industry costs from the direct administrative costs on 
supply and demand, and the resulting quantity and price impacts on the 
retail market for chicken and the related input market for broilers.
    GIPSA modeled the impact of the increase in total industry costs 
resulting from the direct costs of proposed Sec.  201.214 in a 
Marketing Margins Model

[[Page 92734]]

(MMM) framework.\33\ The MMM allows for the estimation of changes in 
consumer and producer surplus and the quantification of deadweight loss 
or gain caused by changes in supply and demand conditions in the retail 
market for chicken as well as the input market for poultry growing 
services.
---------------------------------------------------------------------------

    \33\ The framework is explained in detail in Tomek, W.G. and 
K.L. Robinson ``Agricultural Product Prices,'' third edition, 1990, 
Cornell University Press.
---------------------------------------------------------------------------

    GIPSA modeled the increases in industry costs resulting from higher 
direct costs as an inward (or upward) shift in the supply curve for 
chicken. This has the effect of increasing the equilibrium prices and 
reducing the equilibrium quantity traded. This also has the effect of 
reducing the derived demand for poultry growing services, which causes 
a reduction in the equilibrium prices and quantity traded. Established 
economic theory suggests that these shifts in the supply curve and 
derived demand curve and the resulting price and quantity impacts will 
result in a reduction in social welfare through a deadweight loss.
    To estimate the output and input supply and demand curves for the 
MMM, GIPSA constructed linear supply and demand curves around 
equilibrium price and quantity points using price elasticities of 
supply and demand from the USDA's Economic Research Service.\34\
---------------------------------------------------------------------------

    \34\ ERS Price Elasticities: http://www.ers.usda.gov/data-products/commodity-and-food-elasticities/demand-elasticities-from-literature.aspx. Accessed on August 26, 2016.
---------------------------------------------------------------------------

    GIPSA then shifted the supply curve for chicken up by the amount of 
the increase in total costs for the poultry industry from Table 5 
above. GIPSA calculated the new equilibrium price and quantity traded 
of chicken. GIPSA also calculated the new equilibrium price and 
quantity in the poultry growing services market resulting from the 
decreases in derived demand for growing services. GIPSA calculated the 
resulting social welfare changes in the input and output markets.
    The calculation of the price impact from the increase in poultry 
industry costs from proposed Sec.  201.214 would have in a price 
increase of approximately two-hundredths of a cent in the retail price 
of chicken.\35\ This is because the increase in total industry costs is 
very small in relation to overall industry costs. The result is that 
the resulting deadweight losses from the increases in total industry 
costs is indistinguishable from zero and therefore, GIPSA concludes 
that the indirect costs of proposed Sec.  201.214 are zero.
---------------------------------------------------------------------------

    \35\ The $17.37 million increase in total industry costs from 
proposed Sec.  201.214 is only 0.04 percent of total poultry 
industry costs of approximately $40 billion.
---------------------------------------------------------------------------

Regulatory Alternative 2: Total Costs of the Preferred Alternative
    GIPSA added all direct costs to the indirect costs, which are equal 
to zero, to arrive at the estimated total first-year costs of proposed 
Sec.  201.214. The total costs are summarized in the following table.

             Table 6--Total Costs of Proposed Sec.   201.214
------------------------------------------------------------------------
                        Cost type                          ($ millions)
------------------------------------------------------------------------
Admin Costs.............................................           17.37
Litigation Costs........................................            0.00
Total Direct Costs......................................           17.37
Total Indirect Costs....................................            0.00
                                                         ---------------
    Total Costs.........................................           17.37
------------------------------------------------------------------------

    GIPSA estimates that the total costs of proposed Sec.  201.214 to 
be $17.37 million for the poultry industry in the first full year of 
implementation
Regulatory Alternative 2: 10-Year Total Costs of the Preferred 
Alternative
    To arrive at the estimated 10-year costs of proposed Sec.  201.214, 
GIPSA expects the costs to be constant for the first 5 years while 
courts are setting precedents for the interpretation of proposed Sec.  
201.214 if indeed it is finalized. GIPSA expects that case law with 
respect to proposed Sec.  201.214 would be settled after 5 years, and 
by then, industry participants would likely know how GIPSA would 
enforce the proposed regulation and how courts would interpret the 
proposed regulation if finalized. The effect of courts establishing 
precedents is that administrative costs would likely decline after 5 
years.
    Once courts establish precedents in case law, GIPSA expects the 
direct administrative costs of reviewing and revising contracts and 
developing projection sheets would decrease rapidly as contracts would 
already contain any language modifications necessitated by 
implementation of the proposed rule, and projection sheets would 
already have been developed for most contracts. GIPSA also expects that 
the direct costs of record keeping and operating CMSs would decrease 
rapidly as courts set precedents on which records would be required and 
how detailed a CMS must be, and as companies become more efficient in 
ensuring that poultry grower ranking systems are used in a fair manner 
after applying the criteria in proposed Sec.  201.214.
    To arrive at the estimated 10-year costs of proposed Sec.  201.214, 
GIPSA estimates that contracts would expire at a steady rate. Based on 
its expertise, GIPSA believes that 20 percent of contracts would expire 
on a yearly basis and thus, in the first five years, 20 percent of all 
contracts would expire and need to be renewed each year or new 
production contracts would be put in place. Thus in years 2 through 
year 5, contract review costs would be 20 percent of the costs of 
review in the first year because the costs of reviewing and revising 
contracts would only apply to the 20 percent of contracts that are 
expiring or are new contracts each year. Based on GIPSA's expertise, 
GIPSA also estimates that in years 2 through year 5, 20 percent of all 
projection sheets would require updating each year, the cost of 
operating and updating CMSs would be 20 percent of first-year 
development costs, and that record keeping costs would be 20 percent of 
the first-year cost as companies become more efficient in record 
keeping and learn which records are required. Based on its expertise, 
GIPSA estimates that in the second 5 years, the direct administrative 
costs of revising contracts, projection sheets, CMS operation, and 
record keeping would decrease by 50 percent per year as the courts 
establish precedents, contracts would contain standard language, and 
companies would become more efficient at ensuring poultry grower 
ranking systems are used in a fair manner after applying the criteria 
in proposed Sec.  201.214. The total 10-year costs of proposed Sec.  
201.214 appear in the table below.
---------------------------------------------------------------------------

    \36\ GIPSA uses 2018 as the date for the proposed rule to be in 
effect for analytical purposes only. The date the proposed rule 
becomes final is not known.

        Table 7--Ten-Year Total Costs of Proposed Sec.   202.214
------------------------------------------------------------------------
                                                           Total direct
                          Year                             ($ millions)
------------------------------------------------------------------------
2018 \36\...............................................           17.37
2019....................................................            3.47
2020....................................................            3.47
2021....................................................            3.47
2022....................................................            3.47
2023....................................................            1.74
2024....................................................            0.87
2025....................................................            0.43
2026....................................................            0.22
2027....................................................            0.11
                                                         ---------------
    Totals..............................................           34.64
------------------------------------------------------------------------

    Based on the analysis, GIPSA expects the 10-year total costs of 
proposed Sec.  201.214 would be $34.64 million.

[[Page 92735]]

Regulatory Alternative 2: Net Present Value of Ten-Year Total Costs of 
the Preferred Alternative
    The total costs of proposed Sec.  201.214 in the table above show 
that the costs are highest in the first year, decline to a constant 
lower level over the next 4 years, and then gradually decrease again 
over the subsequent 5 years. Costs to be incurred in the future are 
less expensive than the same costs to be incurred today. This is 
because the money that is used to pay the costs in the future can be 
invested today and earn interest until the time period in which the 
cost is incurred. After the cost has been incurred, the interest earned 
would still be available.
    To account for the time value of money, the costs of the 
regulations to be incurred in the future are discounted back to today's 
dollars using a discount rate. The sum of all costs discounted back to 
the present is called the net present value (NPV) of total costs. GIPSA 
relied on both a three percent and seven percent discount rate as 
discussed in Circular A-4.\37\ GIPSA measured all costs using constant 
dollars.
---------------------------------------------------------------------------

    \37\ https://www.whitehouse.gov/sites/default/files/omb/assets/regulatory_matters_pdf/a-4.pdf. Accessed on August 26, 2016.
---------------------------------------------------------------------------

    GIPSA calculated the NPV of the ten-year total costs of the 
proposed regulation using both a three percent and seven percent 
discount rate and the NPVs appear in the following table.

     Table 8--NPV of Ten-Year Total Costs of Proposed Sec.   201.214
------------------------------------------------------------------------
                      Discount rate                        ($ millions)
------------------------------------------------------------------------
3 Percent...............................................           32.16
7 Percent...............................................           29.36
------------------------------------------------------------------------

    GIPSA expects the NPV of the 10-year total costs of Sec.  201.214 
will be $32.16 million at a three percent discount rate and $29.36 
million at a seven percent discount rate.
Regulatory Alternative 2: Annualized Costs of the Preferred Alternative
    GIPSA then annualized the NPV of the 10-year total costs (referred 
to as annualized costs) of proposed Sec.  201.214 using both a three 
percent and seven percent discount rate as required by Circular A-4 and 
the results appear in the following table.\38\
---------------------------------------------------------------------------

    \38\ Ibid.

          Table 9--Annualized Costs of Proposed Sec.   201.214
------------------------------------------------------------------------
                      Discount rate                        ($ millions)
------------------------------------------------------------------------
3 Percent...............................................            3.77
7 Percent...............................................            4.18
------------------------------------------------------------------------

    GIPSA expects that the annualized costs of Sec.  201.214 would be 
$3.77 million at a three percent discount rate and $4.18 million at a 
seven percent discount rate.
Impacts on Costs of Interim Final Sec.  201.3(a)
    Concurrent with proposing Sec.  201.214, GIPSA is issuing an 
interim final version of Sec.  201.3(a). Section 201.3(a) states that 
conduct or action can be found to violate sections 202(a) and/or 202(b) 
of the P&S Act without a finding of harm or likely harm to competition 
in all cases. As a stand-alone regulation, Sec.  201.3(a) formalizes 
GIPSA's longstanding position that, in some cases, violations of 
sections 202(a) and 202(b) can be proven without demonstrating harm or 
likely harm to competition.
    In its Regulatory Impact Analysis, GIPSA estimated the annualized 
costs of Sec.  201.3(a) would range from $6.87 million to $96.01 
million at a three percent discount rate and from $7.12 million to 
$98.60 million at a seven percent discount rate. The range of potential 
costs is broad and GIPSA relied on its expertise to arrive at a point 
estimate of expected annualized costs. GIPSA expects the cattle, hog, 
and poultry industries to primarily take a ``wait and see'' approach to 
how courts will interpret Sec.  201.3(a) and only slightly adjust its 
use of AMAs, and incentive or performance-based payment systems. GIPSA 
estimates that the annualized costs of Sec.  201.3(a) at the point 
estimate will be $51.44 million at a three percent discount rate and 
$52.86 million at a seven percent discount rate based on an anticipated 
``wait and see'' approach by the cattle, hog, and poultry industries.
    GIPSA recognizes that courts, after the implementation of a 
finalized Sec.  201.3(a), may opt to continue to apply earlier 
precedents of requiring the showing of harm or potential harm to 
competition in section 202(a) and 202(b) cases. This has the potential 
to affect the costs of Sec.  201.214 and 201.211 should they become 
finalized. GIPSA expects that even if courts continue to require 
showing of harm or potential harm to competition in section 202(a) and 
202(b) cases, that firms would likely still incur costs of complying 
with Sec.  201.214. Even if regulated entities expect that courts would 
require showing of a harm to competition for Sec.  201.214 violations, 
the regulated entities may still expect litigation as private parties 
test the courts application of Sec.  201.3 as it relates to Sec.  
201.214 violations. To reduce this threat of litigation, regulated 
entities may still incur the administrative costs detailed above. 
Should Sec.  201.214 become finalized and courts still require a 
showing of harm or potential harm to competition, regulated entities 
may still voluntarily undertake the adjustment costs detailed above.
    GIPSA expects proposed Sec.  201.214 to reduce the costs of 
implementing Sec.  201.3 by providing more clarity in the appropriate 
application of sections 202(a) and (b) of the P&S Act as they apply to 
poultry grower ranking systems. Section 201.214 provides clarity to the 
industry by establishing criteria the Secretary may consider in 
determining whether a live poultry dealer has used a poultry grower 
ranking system to compensate poultry growers in an unfair, unjustly 
discriminatory, or deceptive manner, or in a way that gives an undue or 
unreasonable preference or advantage to any poultry grower or subjects 
any poultry grower to an undue or unreasonable prejudice or 
disadvantage.
Regulatory Alternative 2: Benefits of the Preferred Alternative
    GIPSA was unable to quantify all the benefits of proposed Sec.  
201.214. However, there are a number of important qualitative benefits 
of proposed Sec.  201.214 that merit discussion. Proposed Sec.  201.214 
contains several provisions that GIPSA expects would improve 
efficiencies and reduce market failures. For regulations to improve 
efficiencies for market participants and generate benefits for 
consumers and producers, they must increase the amount of relevant 
information to market participants, reduce information asymmetries, 
protect private property rights, or foster competition.
    Proposed Sec.  201.214(a) would reduce information asymmetries and 
result in poultry growers making informed business decisions such as 
whether to enter the industry and in which capital improvements to 
invest. Growers having more complete information would result in more 
efficient levels of capital in the growing industry than with less 
information. Less information may lead to too much or too little 
capital. More complete information in the growing industry would allow 
live poultry dealers to send price signals to growers about levels of 
capital they desire. For example, if a live poultry dealer desires

[[Page 92736]]

its birds be grown with a more capital-intensive housing type, it can 
increase its base payment rate in a grower ranking system for that 
particular housing type and provide projection sheets to growers so 
they can assess whether to upgrade. Live poultry dealers would have to 
increase the base compensation to a high enough level to spur the 
additional capital investment in upgrades. Similarly, too little 
compensation may result in under investment in capital, which is also 
inefficient.
    Proposed Sec.  201.214(b) would encourage live poultry dealers to 
supply inputs of more consistent quantity and quality to all growers. 
Thus, inferior chicks, which are more costly to grow, would likely be 
distributed more uniformly across growers. This would facilitate a 
level playing field and foster fair competition in poultry grower 
ranking systems. If proposed Sec.  201.214 is finalized and becomes 
effective, growers would be compensated for their performance based 
more accurately on their skill and less so on the quality of inputs 
provided. The more efficient growers would receive more compensation in 
poultry grower ranking systems, which sends a signal to expand their 
offering of growing services. Less efficient growers would earn less, 
which sends a signal to reduce their offering of growing services or, 
at the extreme, to exit the industry. The result is lower costs to the 
industry as poultry grower ranking systems would incentivize the more 
efficient growers to expand and less efficient growers to contract or 
exit the industry.
    Proposed Sec.  201.214(c) would also provide a similar benefit to 
the industry. Under this section, the Secretary may consider whether a 
live poultry dealer includes poultry growers provided with dissimilar 
production variables in the ranking group in a manner that affects a 
poultry grower's compensation. The live poultry dealer would be 
expected to assure that growers are treated consistently as compared to 
other growers in the settlement group. This would allow growers to 
compete in poultry grower ranking systems on their skill level and not 
be disadvantaged by factors outside of their control. The result, 
again, is lower costs to the industry as the poultry grower ranking 
system would likely incentivize the more efficient growers to expand 
and the less efficient growers to reduce operations or exit the 
industry.
    Proposed Sec.  201.214(d) would benefit the industry by allowing 
the Secretary to consider whether a live poultry dealer has 
demonstrated a legitimate business justification for use of a poultry 
grower ranking system that would otherwise violate the P&S Act. This is 
a benefit for live poultry dealers as it provides a level of protection 
against potentially frivolous litigation.
    Another important qualitative benefit of proposed Sec.  201.214 is 
the increased ability for the enforcement of the P&S Act for use of 
poultry grower ranking systems in a manner that does not result in a 
harm or likelihood of harm to competition. This occurs through Sec.  
201.3(a), which states that conduct can be found to violate sections 
202(a) and/or 202(b) of the P&S Act without a finding of harm or likely 
harm to competition and more specifically through Sec.  201.210(b)(10) 
which clarifies that absent demonstration of a legitimate business 
justification, failing to use a poultry grower ranking system in a fair 
manner after applying the criteria in Sec.  201.214 is unfair, unjustly 
discriminatory, or deceptive and a violation of section 202(a) of the 
P&S Act regardless of whether it harms or is likely to harm 
competition.
    A simple example is a live poultry dealer consistently supplying 
inferior chicks to a particular grower. The grower is harmed by this 
conduct because the grower consistently under-performs in the poultry 
grower ranking system and receives lower compensation than if the 
grower had been provided higher quality chicks. This can be considered 
an unfair and deceptive practice under section 202(a) and/or as 
subjecting the grower to an unfair disadvantage under section 202(b). 
The impact of this harm to the grower is very small when compared to 
the entire industry and there is no harm to competition from this one 
instance. Because there is no harm or likely harm to competition, 
courts have been reluctant to find a violation of section 202(a) or (b) 
of the P&S Act in such a situation, despite the harm suffered by the 
individual poultry grower.
    However, if similar, though unrelated, harm is experienced by a 
large number of growers, the cumulative effect does result in a harm to 
competition. The individual harm is inconsequential to the industry, 
but the sum total of all individual harm has the potential to be quite 
significant when compared to the industry and therefore, courts have 
found harm or likely harm to competition in such a situation. The 
regulations in this proposed rule, in conjunction with Sec.  201.3(a), 
clarify that consistently supplying inferior chicks, absent 
demonstration of a legitimate business justification, would constitute 
unfair, unjustly discriminatory, or deceptive practices or devices 
under section 202(a) of the P&S Act or the giving of an undue or 
unreasonable preference, advantage, prejudice or disadvantage under 
section 202(b) of the P&S Act.
    The sum of all individual harm is likely to increase total industry 
costs of producing poultry due to an inefficient allocation of 
resources. The cost of all unfair, unjustly discriminatory, or 
deceptive practices, or undue or unreasonable preferences or advantages 
to any poultry grower or undue or unreasonable prejudices or 
disadvantages are reflected in higher costs of producing poultry, with 
some portion of these costs passed along to consumers in the form of 
higher prices.
    GIPSA expects proposed Sec.  201.214 coupled with Sec. Sec.  
201.3(a) and 201.210(b)(10) to increase enforcement actions against 
live poultry dealers for use of poultry grower ranking systems in a 
manner that violates sections 202(a) and/or 202(b) when the use of the 
poultry grower ranking system does not harm or is not likely to harm to 
competition. Several appellate courts have disagreed with USDA's 
interpretation of the P&S Act that harm or likely harm to competition 
is not necessary in all instances to prove a violation of sections 
202(a) or 202(b). In some cases in which the United States was not a 
party, these courts have concluded that plaintiffs could not prove 
their claims under section 202(a) and/or (b) without proving harm to 
competition or likely harm to competition. One reason the courts gave 
for declining to defer to USDA's interpretation of the statute is that 
USDA had not previously formalized its interpretation in a regulation.
    Section 201.3 addresses that issue and Sec. Sec.  201.214 and 
201.210(b)(10) provide clarity regarding the circumstances under which 
use of a poultry grower ranking system, absent demonstration of a 
legitimate business justification, would constitute an unfair, unjustly 
discriminatory, or deceptive practice or device under section 202(a) of 
the P&S Act or the giving of an undue or unreasonable preference, 
advantage, prejudice or disadvantage under section 202(b) of the P&S 
Act. GIPSA expects the result would be additional enforcement actions 
successfully litigated, which will serve as a deterrent to using a 
poultry grower ranking system in a manner that violates sections 202(a) 
or (b) of the P&S Act. Successful deterrence would likely result in 
lower overall costs throughout the entire production and marketing 
complex of all poultry and chicken.
    Benefits to the industry and the market also arise from 
establishing parity of negotiating power between live

[[Page 92737]]

poultry dealers and poultry growers by reducing the ability to abuse 
market power with the resulting deadweight losses.\39\ Establishing 
parity of negotiating power in contracts promotes fairness and equity 
and is consistent with GIPSA's mission ``[T]o protect fair trade 
practices, financial integrity, and competitive markets for livestock, 
meats and poultry.'' \40\
---------------------------------------------------------------------------

    \39\ MacDonald, J. and N. Key. ``Market Power in Poultry 
Production Contracting? Evidence from a Farm Survey.'' Journal of 
Agricultural and Applied Economics. 44(4) (November 2012): 477-490. 
Discusses evidence for the effect of concentration on grower 
compensation.
    \40\ See additional discussion in Steven Y. Wu and James 
MacDonald (2015) ``Economics of Agricultural Contract Grower 
Protection Legislation,'' Choices 30(3): 1-6.
---------------------------------------------------------------------------

Regulatory Alternative 2: Cost-Benefit Summary of the Preferred 
Alternative
    GIPSA expects the annualized costs of Sec.  201.214 will be $3.77 
million at a three percent discount rate and $4.18 million at a seven 
percent discount rate. GIPSA was unable to quantify the benefits of the 
regulations, but explained numerous qualitative benefits derived from 
increased information and reduced information asymmetries. The 
regulation contains several provisions that GIPSA expects will: (1) 
Improve efficiencies in the formation of capital in the poultry growing 
industry; and (2) lower costs to the industry as grower ranking systems 
will incentivize the more efficient growers to expand and less 
efficient growers to reduce operations or exit the industry. Another 
benefit of proposed Sec.  201.214 is the deterrent effect of increased 
enforcement of the P&S Act for violations of section 202(a) or (b). 
This, in turn, would reduce instances of unfair, unjustly 
discriminatory, or deceptive practices or devices and undue or 
unreasonable preferences, advantages, prejudices, or disadvantages and 
increased efficiencies in the marketplace. At the same time, allowing 
the Secretary to consider legitimate business justifications for use of 
a poultry grower ranking system in a manner that might otherwise be 
seen as a violation of section 202(a) or (b) of the P&S Act would 
provide a level of protection against potentially frivolous litigation. 
Thus, proposed Sec.  201.214 would likely increase efficiency, lower 
costs, and reduce market failures in the poultry industry. These 
benefits would accrue to all segments of the poultry value chain, and 
ultimately consumers.
Regulatory Alternative 3: Contract Duration--Phased Implementation
    GIPSA considered a third regulatory alternative of phased 
implementation. Under this third alternative, proposed Sec.  201.214 
would only apply to poultry growing contracts when they expire, are 
altered, or new contracts are put in place. Consider for example, a 
poultry growing contract with 3 years remaining in the contract when 
the regulations become effective. Proposed Sec.  201.214 would not be 
applicable to this contract, under phased implementation, until the 
contract expires after 3 years and is either modified or replaced.
Regulatory Alternative 3: Cost Estimation of Phased Implementation
    GIPSA estimated the costs of phased implementation by multiplying 
the majority of the ten-year total costs of the preferred alternative 
(Table 7) for each year of the first 10 years the rule would be in 
effect by the percentage of contracts expiring or altered in the same 
year. The data on contract lengths for broiler production appear in the 
table below.
---------------------------------------------------------------------------

    \41\ USDA's Economic Research Service Agricultural Resource 
Management Survey (ARMS) 2011.

          Table 10--Production and Marketing Contract Durations
------------------------------------------------------------------------
                                                              Broiler
                    Contract duration                       production
                                                             \41\ (%)
------------------------------------------------------------------------
Short Term < = 12 months................................           65.20
Medium Term 13-60 months................................           19.20
Long Term > 60 months...................................           15.60
------------------------------------------------------------------------

    The data in the table above show that 65.2 percent of broiler 
production contracts have a duration of 12 months or less and 84.4 
percent have a duration of 60 months or less. Only 15.64 percent of 
broiler production contracts are longer than 60 months in duration.
    For the first year of the regulation, GIPSA multiplied the costs of 
Sec.  201.214 by 65.20 percent. The one exception is the cost of the 
development of CMSs. GIPSA's experience reviewing poultry growing 
contracts suggests that most live poultry dealers have some contracts 
that are of a short-term duration. Therefore, GIPSA estimates that all 
live poultry dealers would have to develop a CMS in the first year 
after the implementation of the regulation. GIPSA allocates 100 percent 
of CMS development costs in the first year under the phased 
implementation alternative. All other direct administrative costs are 
multiplied by 65.20 percent in the first year.
    For years 2 through 5, GIPSA followed the same procedure and 
adjusted total industry costs by 84.4 percent, the number of contracts 
that are 5 years or less in duration. For years 6 through 10, GIPSA 
applied 100 percent of the preferred alternative costs to reflect the 
full phase in of costs.
    The following tables show the 10-year total costs of the phased 
implementation alternative. The 10-year total costs for each year of 
the preferred alternative (Table 7) are also shown for convenience.

      Table 11--Phased Implementation Total Costs of Sec.   201.214
------------------------------------------------------------------------
                                          Preferred          Phased
                Year                   alternative ($    implementation
                                          millions)       ($ millions)
------------------------------------------------------------------------
2018................................             17.37             13.23
2019................................              3.47              2.93
2020................................              3.47              2.93
2021................................              3.47              2.93
2022................................              3.47              2.93
2023................................              1.74              1.74
2024................................              0.87              0.87
2025................................              0.43              0.43
2026................................              0.22              0.22

[[Page 92738]]

 
2027................................              0.11              0.11
                                     -----------------------------------
    Totals..........................             34.64             28.32
------------------------------------------------------------------------

    GIPSA estimates that the first-year total costs of Sec.  201.214 
under the phased implementation alternative would be $13.23 million and 
the 10-year total costs would be $28.32 million. As the table shows, 
the costs in the first 5 years are lower under the phased 
implementation option than under the preferred alternative because 
regulated entities with contracts longer than 1 year are not covered 
until the contracts expire, are modified, or replaced.
Regulatory Alternative 3: NPV of 10-Year Total Costs of Phased 
Implementation
    GIPSA calculated the NPV of the 10-year total costs of proposed 
Sec.  201.214 under phased implementation using both a three percent 
and seven percent discount rate as required by Circular A-4. The NPVs 
are shown in the following table.

   Table 12--NPVs of Ten-Year Total Costs of Proposed Sec.   201.214--
                          Phased Implementation
------------------------------------------------------------------------
                      Discount rate                        ($ millions)
------------------------------------------------------------------------
3 Percent...............................................           26.18
7 Percent...............................................           23.77
------------------------------------------------------------------------

    GIPSA expects the NPV of the 10-year total costs of Sec.  201.214 
under the phased implementation option to be $26.18 million at a three 
percent discount rate and $23.77 million at a seven percent discount 
rate.
Regulatory Alternative 3: Annualized Costs of Phased Implementation
    GIPSA then annualized the costs of Sec.  201.214 using both a three 
percent and seven percent discount rate as required by Circular A-4 and 
the results appear in the following table.

      Table 13--Annualized Costs of Proposed Sec.   201.214--Phased
                             Implementation
------------------------------------------------------------------------
                      Discount rate                        ($ millions)
------------------------------------------------------------------------
3 Percent...............................................            3.07
7 Percent...............................................            3.38
------------------------------------------------------------------------

    GIPSA expects the annualized costs of Sec.  201.214 under the 
phased implementation option to be $3.07 million at a three percent 
discount rate and $3.38 million at a seven percent discount rate.
Regulatory Alternative 3: Benefits of the Phased Implementation 
Alternative
    The benefits of phased implementation are identical to the benefits 
of the preferred alternative with the exception of when the benefits 
will be received and the amount of the benefits. Like the costs, the 
benefits will be received only when contracts expire, are modified, or 
new contracts are put in place. Moreover, benefits to be received in 
the future are worth less than benefits received today. The benefits 
will be received in the same proportion of the total costs and are 
based on contract durations. The benefits of phased implementation are 
less than under the preferred alternative because the full benefits 
will not be received until all contracts have expired, been modified, 
or replaced by new contracts. The full benefits of phased 
implementation will be received beginning in year 6.
Regulatory Alternative 3: Cost-Benefit Summary of Phased Implementation
    GIPSA expects the annualized costs of Sec.  201.214 under the 
phased implementation option to be $3.07 million at a three percent 
discount rate and $3.38 million at a seven percent discount rate. The 
benefits will be received in the same proportion as total costs and are 
based on contract durations. The benefits of the phased implementation 
alternative are less than under the preferred alternative because the 
full benefits will not be received until all contracts have expired, 
been altered, or replaced by new contracts.
Cost-Benefit Comparison of Regulatory Alternatives
    The status quo alternative has zero marginal costs and benefits as 
GIPSA does not expect any changes in the industry. GIPSA compared the 
annualized costs of the preferred alternative to the annualized costs 
of the phased implementation alternative by subtracting the annualized 
costs of phased implementation from the preferred alternative and the 
results appear in the following table.

   Table 14--Difference in Annualized Costs of Proposed Sec.   201.214
     Between the Preferred Alternative and the Phased Implementation
                               Alternative
------------------------------------------------------------------------
                      Discount rate                        ($ millions)
------------------------------------------------------------------------
3 Percent...............................................            0.70
7 Percent...............................................            0.80
------------------------------------------------------------------------

    The annualized costs of the phased implementation alternative is 
$0.70 million less expensive using a three percent discount rate and 
$0.80 million less expensive using a seven percent discount rate. As is 
the case with costs, the benefits of the preferred alternative will be 
highest for the preferred alternative because the full benefits will be 
received immediately and not when contracts have expired, been altered, 
or replaced by new contracts as is the case under the phased 
implementation alternative.
    Though the phased implementation alternative would save between 
$0.70 million and $0.80 million on an annualized basis, this 
alternative would deny the protections offered by proposed Sec.  
201.214 to a substantial percentage of poultry growers for five or more 
years based on the length of their production contracts. As the data in 
Table 10 show, 15.6 percent of poultry growers have contracts with 
durations exceeding five years. Under the phased implementation 
alternative, these growers would continue to be exposed to the 
potential market failures discussed above until their contracts expire 
or are renewed. GIPSA considered all three regulatory alternatives and 
believes that the preferred alternative is the best alternative as the 
benefits of the regulation will be captured immediately by all growers, 
regardless of the length of their contracts.

[[Page 92739]]

Regulatory Flexibility Analysis

    The Small Business Administration (SBA) defines small businesses by 
their North American Industry Classification System Codes (NAICS).\42\ 
Live poultry dealers, NAICS 311615, are considered small businesses if 
they have fewer than 1,250 employees. Broiler and turkey producers, 
NAICS 112320 and 112330, are considered small businesses if their sales 
are less than $750,000 per year.
---------------------------------------------------------------------------

    \42\ See: http://www.sba.gov/idc/groups/public/documents/sba_homepage/serv_sstd_tablepdf.pdf. Accessed on August 26, 2016.
---------------------------------------------------------------------------

    GIPSA maintains data on live poultry dealers from the annual 
reports these firms file with GIPSA. Currently, there are 133 live 
poultry dealers that would be subject to the proposed regulations. 
According to U.S. Census data on County Business Patterns, there were 
74 poultry slaughter firms that had more than 1,000 employees in 
2013.\43\ The difference yields approximately 59 poultry slaughters 
that have fewer than 1,000 employees and would be considered small 
businesses that would be subject to the proposed regulations.
---------------------------------------------------------------------------

    \43\ http://factfinder.census.gov/faces/tableservices/jsf/pages/productview.xhtml?src=bkmk. Accessed on August 26, 2016. The U.S. 
Census data reports data in thousands making 1,000 the closest 
number of employees to SBA's small business classification of 1,250 
employees.
---------------------------------------------------------------------------

    Another factor, however, that is important in determining the 
economic effect of the regulations is the number of contracts held by a 
firm. GIPSA records for 2014 indicated there were 21,925 poultry 
production contracts in effect, of which 13,370, or 61 percent, were 
held by the largest six live poultry dealers, and 90 percent (19,673) 
were held by the largest 25 live poultry dealers. These 25 live poultry 
dealers are all in the large business SBA category, whereas the 21,925 
poultry growers holding the other end of the contracts are almost all 
small businesses by SBA's definitions.
    To the extent the proposed rule imposes costs, these costs are 
expected to be borne by live poultry dealers. The costs likely include 
legal review of contracts, record-keeping, administrative costs, 
developing a CMS, and developing projection sheets.
    Live poultry dealers classified as large businesses are responsible 
for about 89.7 percent of the poultry growing contracts. Assuming that 
live poultry dealers classified as small businesses will bear about 
10.3 percent of the costs, expected costs in the first year for live 
poultry dealers classified as small businesses would be $1.8 
million.\44\ Expected 10-year costs annualized at a three percent 
discount rate for live poultry dealers classified as small businesses 
would be $387,000. Expected 10-year costs annualized at a seven percent 
discount rate for live poultry dealers classified as small businesses 
would be $429,000.
---------------------------------------------------------------------------

    \44\ Estimated first year costs of $17.37 million x 10.27 
percent of firms that are small businesses = $1.8 million.
---------------------------------------------------------------------------

    In considering the impact on small businesses, GIPSA considered the 
average costs and revenues of each small business impacted by Sec.  
201.214. The number of small businesses impacted by Sec.  201.214, by 
NAICS code, as well as the per entity, first-year and annualized costs 
at both the three percent and seven percent discount rates appear in 
the following table.

                        Table 15--Per Entity Costs to Small Businesses of Sec.   201.214
----------------------------------------------------------------------------------------------------------------
                                              Number of small                      Annualized       Annualized
                    NAICS                         business      First year ($)   costs--3% ($)    costs--7% ($)
----------------------------------------------------------------------------------------------------------------
311615--Poultry.............................              59           30,246            6,563            7,278
----------------------------------------------------------------------------------------------------------------

    The following table compares the average per entity first-year and 
annualized costs of Sec.  201.214 to the average revenue per 
establishment for all firms in the same NAICS code. The annualized 
costs are slightly higher at the seven percent rate than at the three 
percent rate, so only the seven percent rate is shown as it is the 
higher annualized cost.

                                Table 16--Comparison of Per Entity Cost to Small Businesses of Sec.   201.214 to Revenues
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                                                       Average revenue
                                                    Number of small   Average first-      Average            per        First-year cost  Annualized cost
                       NAICS                            business      year cost per   annualized cost   establishment    as percent of    as percent of
                                                                        entity ($)     per entity ($)        ($)          revenue (%)      revenue (%)
--------------------------------------------------------------------------------------------------------------------------------------------------------
311615--Poultry...................................              59           30,246            7,278       13,842,548             0.22             0.05
--------------------------------------------------------------------------------------------------------------------------------------------------------

    The revenue figure in the above table come from Census data for 
live poultry dealers, NAICS code 311615.\45\
---------------------------------------------------------------------------

    \45\ Source: http://www.census.gov/data/tables/2012/econ/susb/2012-susb-annual.html. Accessed on November 29, 2016.
---------------------------------------------------------------------------

    As the results in Table 16 demonstrate, the first-year and 
annualized costs of Sec.  201.214 as a percent of revenue is small at 
less than one percent.
    Based on the above analyses regarding Sec.  201.214, GIPSA 
certifies that this rule is not expected to have a significant economic 
impact on a substantial number of small business entities as defined in 
the Regulatory Flexibility Act (5 U.S.C. 601 et seq.). While confident 
in this certification, GIPSA acknowledges that individual businesses 
may have relevant data to supplement our analysis. We would encourage 
small stakeholders to submit any relevant data during the comment 
period.

Executive Order 12988

    This proposed rule has been reviewed under Executive Order 12988, 
Civil Justice Reform. These actions are not intended to have 
retroactive effect, although in some instances they merely reiterate 
GIPSA's previous interpretation of the P&S Act. This proposed rule 
would not pre-empt state or local laws, regulations, or policies, 
unless they present an irreconcilable conflict with this rule. There 
are no

[[Page 92740]]

administrative procedures that must be exhausted prior to any judicial 
challenge to the provisions of this proposed rule. Nothing in this 
proposed rule is intended to interfere with a person's right to enforce 
liability against any person subject to the P&S Act under authority 
granted in section 308 of the P&S Act.

Executive Order 13175

    This proposed rule has been reviewed in accordance with the 
requirements of Executive Order 13175, ``Consultation and Coordination 
with Indian Tribal Governments.'' Executive Order 13175 requires 
Federal agencies to consult and coordinate with tribes on a government-
to-government basis on policies that have tribal implications, 
including regulations, legislative comments or proposed legislation, 
and other policy statements or actions that have substantial direct 
effects on one or more Indian tribes, on the relationship between the 
Federal Government and Indian tribes or on the distribution of power 
and responsibilities between the Federal Government and Indian tribes.
    GIPSA has assessed the impact of this rule on Indian tribes and 
determined that this rule does not, to our knowledge, have tribal 
implications that require tribal consultation under EO 13175. If a 
tribe requests consultation, GIPSA will work with the Office of Tribal 
Relations to ensure meaningful consultation is provided where changes, 
additions, and modifications identified herein are not expressly 
mandated by Congress.

Paperwork Reduction Act

    This proposed rule does not contain new or amended information 
collection requirements subject to the Paperwork Reduction Act of 1995 
(44 U.S.C. 3501 et seq.). It does not involve collection of new or 
additional information by the federal government.

E-Government Act Compliance

    GIPSA 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.

List of Subjects in 9 CFR Part 201

    Contracts, Poultry, Livestock, Trade Practices.

    For the reasons set forth in the preamble, we propose to amend 9 
CFR part 201 to read as follows:

PART 201--Regulations Under the Packers and Stockyards Act

0
1. The authority citation for Part 201 continues to read as follows:

    Authority:  7 U.S.C. 181-229c.

0
2. Amend Sec.  201.210 by adding paragraph (b)(10) to read as follows:
* * * * *
    (b) * * *
    (10) Failing to use a poultry grower ranking system in a fair 
manner after applying the criteria in Sec.  201.214.

0
2. Add new Sec.  201.214 to read as follows:


Sec.  201.214  Poultry grower ranking systems.

    The Secretary may consider various criteria when determining 
whether a live poultry dealer has engaged in a pattern or practice to 
use a poultry grower ranking system to compensate poultry growers in an 
unfair, unjustly discriminatory, or deceptive manner, or in a way that 
gives an undue or unreasonable preference or advantage to any poultry 
grower or subjects any poultry grower to an undue or unreasonable 
prejudice or disadvantage. These criteria include, but are not limited 
to:
    (a) Whether a live poultry dealer provides sufficient information 
to enable a poultry grower to make informed business decisions. Such 
information should include the anticipated number of flocks per year, 
the average gross income from each flock, and any other information 
necessary to enable a poultry grower to calculate the expected income 
from the poultry growing arrangement;
    (b) Whether a live poultry dealer supplies inputs of comparable 
quality and quantity to all poultry growers in the ranking group; and 
whether there is a pattern or practice of supplying inferior inputs to 
one or more poultry growers in the ranking group. Inputs include birds, 
feed, medication, and any other input supplied by the live poultry 
dealer;
    (c) Whether a live poultry dealer includes poultry growers provided 
with dissimilar production variables in the ranking group in a manner 
that affects a poultry grower's compensation. Production variables 
include, but are not limited to, the density at which the live poultry 
dealer places birds, the target slaughter weights of the birds, and 
bird ages that vary by more than seven days; and
    (d) Whether a live poultry dealer has demonstrated a legitimate 
business justification for use of a poultry grower ranking system that 
may otherwise be unfair, unjustly discriminatory, or deceptive or gives 
an undue or unreasonable preference or advantage to any poultry grower 
or subjects any poultry grower to an undue or unreasonable prejudice or 
disadvantage.

Larry Mitchell,
Administrator, Grain Inspection, Packers and Stockyards Administration.
[FR Doc. 2016-30429 Filed 12-19-16; 8:45 am]
 BILLING CODE 3410-KD-P



                                                                         Federal Register / Vol. 81, No. 244 / Tuesday, December 20, 2016 / Proposed Rules                                           92723

                                                       (5) Requiring unreasonable additional                applicable law, rule, or regulation                   proposed amendments will identify
                                                    capital investments from a poultry                      related to the livestock or poultry                   criteria that the Secretary may consider
                                                    grower or swine production contract                     operation without a reasonable basis to               when determining whether a live
                                                    grower after applying the criteria in                   determine that the livestock producer,                poultry dealer’s use of a poultry grower
                                                    § 201.216;                                              swine production contract grower, or                  ranking system for ranking poultry
                                                       (6) Failing to provide a reasonable                  poultry grower committed the violation;               growers for settlement purposes is
                                                    period of time to remedy a breach of                       (c) Whether a packer, swine                        unfair, unjustly discriminatory, or
                                                    contract before termination of the                      contractor, or live poultry dealer treats             deceptive or gives an undue or
                                                    contract after applying the criteria in                 one or more livestock producers, swine                unreasonable preference, advantage,
                                                    § 201.217;                                              production contract growers, or poultry               prejudice, or disadvantage. The
                                                       (7) Failing to provide a meaningful                  growers more favorably as compared to                 proposed amendments will also clarify
                                                    opportunity to participate fully in the                 one or more similarly situated livestock              that absent demonstration of a
                                                    arbitration process after applying the                  producers, swine production contract                  legitimate business justification, failing
                                                    criteria in § 201.218;                                  growers, or poultry growers for an                    to use a poultry grower ranking system
                                                       (8) Failing to ensure accurate scales                arbitrary reason unrelated to the                     in a fair manner after applying the
                                                    and weighing of livestock, livestock                    livestock or poultry operation;                       identified criteria is unfair, unjustly
                                                    carcasses, live poultry, or feed for the                   (d) Whether a packer, swine                        discriminatory, or deceptive and a
                                                    purposes of purchase, sale, acquisition,                contractor, or live poultry dealer treats             violation of section 202(a) of the P&S
                                                    payment, or settlement as required by                   one or more livestock producers, swine                Act regardless of whether it harms or is
                                                    the regulations under the Act; or                       production contract growers, or poultry               likely to harm competition.
                                                       (9) Failing to ensure the accuracy of                growers more favorably as compared to
                                                    livestock, meat, and poultry electronic                                                                       DATES: We will consider comments we
                                                                                                            one or more similarly situated livestock
                                                    evaluation systems and devices for the                                                                        receive by February 21, 2017.
                                                                                                            producers, swine production contract
                                                    purposes of purchase, sale, acquisition,                growers, or poultry growers on the basis              ADDRESSES:   We invite you to submit
                                                    payment, or settlement as required by                   of race, color, national origin, sex,                 comments on this proposed rule. You
                                                    the regulations under the Act.                          religion, age, disability, political beliefs,         may submit comments by any of the
                                                       (c) Conduct or action that harms                     sexual orientation, or marital or family              following methods:
                                                    competition. Absent demonstration of a                  status;                                                 • Mail: M. Irene Omade, GIPSA,
                                                    legitimate business justification, any                     (e) Whether the packer, swine                      USDA, 1400 Independence Avenue
                                                    conduct or action that harms or is likely               contractor, or live poultry dealer has                SW., Room 2542A–S, Washington, DC
                                                    to harm competition is an ‘‘unfair,’’                   demonstrated a legitimate business                    20250–3613.
                                                    ‘‘unjustly discriminatory,’’ or                         justification for conduct or action that
                                                    ‘‘deceptive’’ practice or device and a                                                                          • Hand Delivery or Courier: M. Irene
                                                                                                            may otherwise constitute an undue or
                                                    violation of section 202(a) of the Act.                                                                       Omade, GIPSA, USDA, 1400
                                                                                                            unreasonable preference or advantage;
                                                    ■ 3. Section 201.211 is added to read as                                                                      Independence Avenue SW., Room
                                                                                                            and
                                                    follows:                                                                                                      2542A–S, Washington, DC 20250–3613.
                                                                                                               (f) Whether the conduct or action by
                                                                                                            a packer, swine contractor, or live                     • Internet: http://
                                                    § 201.211 Undue or unreasonable
                                                    preferences or advantages.                              poultry dealer harms or is likely to harm             www.regulations.gov. Follow the on-line
                                                                                                            competition.                                          instructions for submitting comments.
                                                       The Secretary will consider the
                                                    following criteria when determining                     Larry Mitchell,
                                                                                                                                                                    Instructions: All comments should
                                                    whether a packer, swine contractor, or                                                                        make reference to the date and page
                                                                                                            Administrator, Grain Inspection, Packers and
                                                    live poultry dealer has engaged in                      Stockyards Administration.
                                                                                                                                                                  number of this issue of the Federal
                                                    conduct or action that constitutes an                                                                         Register. Regulatory analyses and other
                                                                                                            [FR Doc. 2016–30430 Filed 12–19–16; 8:45 am]
                                                    undue or unreasonable preference or                                                                           documents relating to this rulemaking
                                                                                                            BILLING CODE 3410–KD–P
                                                    advantage and a violation of section                                                                          will be available for public inspection in
                                                    202(b) of the Act. These criteria include,                                                                    Room 2542A–S, 1400 Independence
                                                    but are not limited to:                                                                                       Avenue SW., Washington, DC 20250–
                                                                                                            DEPARTMENT OF AGRICULTURE
                                                       (a) Whether a packer, swine                                                                                3613 during regular business hours. All
                                                    contractor, or live poultry dealer treats               Grain Inspection, Packers and                         comments received will be included in
                                                    one or more livestock producers, swine                  Stockyards Administration                             the public docket without change,
                                                    production contract growers, or poultry                                                                       including any personal information
                                                    growers more favorably as compared to                   9 CFR Part 201                                        provided. All comments will be
                                                    one or more similarly situated livestock                                                                      available for public inspection in the
                                                    producers, swine production contract                    RIN 0580–AB26                                         above office during regular business
                                                    growers, or poultry growers who have                                                                          hours (7 CFR 1.27(b)). Please call the
                                                                                                            Poultry Grower Ranking Systems                        Management and Budget Services staff
                                                    engaged in lawful communication,
                                                    association, or assertion of their rights;              AGENCY:  Grain Inspection, Packers and                of GIPSA at (202) 720–8479 to arrange
                                                       (b) Whether a packer, swine                          Stockyards Administration, USDA.                      a public inspection of comments or
                                                    contractor, or live poultry dealer treats               ACTION: Proposed rule.
                                                                                                                                                                  other documents related to this
                                                    one or more livestock producers, swine                                                                        rulemaking.
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                    production contract growers, or poultry                 SUMMARY:   The Department of
                                                                                                                                                                  FOR FURTHER INFORMATION CONTACT:       S.
                                                    growers more favorably as compared to                   Agriculture’s (USDA) Grain Inspection,
                                                                                                                                                                  Brett Offutt, Director, Litigation and
                                                    one or more similarly situated livestock                Packers and Stockyards Administration
                                                                                                                                                                  Economic Analysis Division, P&SP,
                                                    producers, swine production contract                    (GIPSA), Packers and Stockyards
                                                                                                                                                                  GIPSA, 1400 Independence Ave. SW.,
                                                    growers, or poultry growers who the                     Program (P&SP) is proposing to amend
                                                                                                                                                                  Washington, DC 20250–3601, (202) 720–
                                                    packer, swine contractor, or live poultry               the regulations issued under the Packers
                                                                                                                                                                  7051, s.brett.offutt@usda.gov.
                                                    dealer contends have taken an action or                 and Stockyards Act, 1921, as amended
                                                    engaged in conduct that violates any                    and supplemented (P&S Act). The                       SUPPLEMENTARY INFORMATION:



                                               VerDate Sep<11>2014   18:20 Dec 19, 2016   Jkt 241001   PO 00000   Frm 00021   Fmt 4702   Sfmt 4702   E:\FR\FM\20DEP1.SGM   20DEP1


                                                    92724                Federal Register / Vol. 81, No. 244 / Tuesday, December 20, 2016 / Proposed Rules

                                                    Background on Prior Rulemaking                          and, therefore, receive more                          poultry, there can be significant
                                                                                                            compensation.                                         differences in bird size, and as a result,
                                                      GIPSA previously published a notice                      Poultry grower ranking systems are                 grower pay, in birds just a few days
                                                    of proposed rulemaking on June 22,                      widely used by live poultry dealers                   apart in age. Comments also expressed
                                                    2010, which included requirements                       operating as vertically integrated                    concern that company employees who
                                                    regarding a live poultry dealer’s use of                companies. The vertically integrated                  are also poultry growers get preferential
                                                    a poultry grower ranking system when                    company is responsible for every step of              treatment and may get better birds or get
                                                    determining payment for grower                          the poultry production process except                 to keep flocks longer.
                                                    services. That proposed rule would have                 the raising and caring of the live birds                 Comments opposed to the proposed
                                                    required live poultry dealers paying                    meant for slaughter. Independent                      rule overwhelmingly cited the loss of
                                                    growers on a tournament system to pay                   farmers, acting as contractors and                    the incentive for growers to perform. For
                                                    growers raising the same type and kind                  referred to as ‘‘poultry growers,’’                   example, commenters complained that
                                                    of poultry the same base pay and further                perform this function. The vertically                 ‘‘there will be no incentive available for
                                                    required that growers be settled in                     integrated live poultry dealer provides               above-average growers,’’ ‘‘the pay
                                                    groups with other growers with like                     the chicks,1 feed, and medication to                  system rewards the ones who strive to
                                                    house types. Upon review of public                      poultry growers who house and feed the                do best,’’ it ‘‘will take money from the
                                                    comments received both in writing and                   birds under a contract. The poultry                   most progressive growers,’’ and ‘‘is
                                                    through public meetings held during the                 grower grows the birds to market size                 grossly unfair to the most productive
                                                    comment period in 2010, we have                         (preferred weight for slaughter) and                  and successful growers, only benefits
                                                    elected not to publish this rule as a final             then, after slaughter, receives a                     the least productive and least
                                                    rule, but rather have modified proposed                 settlement check for that flock. The                  successful.’’ Those opposed to the
                                                    § 201.214 and are publishing it as a                    payment received depends on how                       proposed rule commented that everyone
                                                    proposed rule and requesting further                    efficiently the poultry grower converted              should not be paid the same, that
                                                    public comment.                                         feed to meat as compared to the other                 competition is good for the industry,
                                                                                                            poultry growers in the settlement group.              and that those that spend money and
                                                    Background on Current Rulemaking                           GIPSA has received complaints from                 expend effort should be rewarded. Some
                                                       The P&S Act (7 U.S.C. 181 et seq.) sets              poultry growers alleging unfair                       commenters stated there will not be
                                                    forth broad prohibitions on the conduct                 treatment in poultry grower ranking                   enough like houses to group together for
                                                    of entities operating subject to its                    systems. Many of the underlying factors               ranking purposes.
                                                    jurisdiction. For example, section 202(a)               in these complaints were shared with                     A few commenters offered
                                                    of the P&S Act prohibits packers, swine                 GIPSA in the comments to the 2010                     recommendations. Specifically, they
                                                    contractors, and live poultry dealers                   proposed rule. The 2010 proposed rule                 suggested ‘‘same type and kind’’ of
                                                    from engaging in any unfair, unjustly                   (§ 201.214) would have required live                  poultry should be defined as same
                                                    discriminatory, or deceptive practices. 7               poultry dealers paying growers on a                   breed, age range, sex, and target weight.
                                                    U.S.C. 192(a). Section 202(b) of the P&S                tournament system to pay growers                      Also, they suggested that the base pay
                                                    Act prohibits packers, swine                            raising the same type and kind of                     rate should reflect grower’s cost of
                                                    contractors, and live poultry dealers                   poultry the same base pay and further                 production plus a reasonable rate of
                                                    from making or giving any undue or                      required that growers be settled in                   return. Other commenters suggested that
                                                    unreasonable preference or advantage to                 groups with other growers with like                   GIPSA should clarify that incentive pay
                                                    any particular person, or subjecting any                house types. Comments in favor of the                 would still be allowed under the
                                                    particular person to any undue or                       proposed rule most often cited the                    proposed rule. In GIPSA’s experience
                                                    unreasonable prejudice or disadvantage.                 imbalance in power and control                        reviewing live poultry dealer records,
                                                                                                            between the poultry companies and the                 some poultry companies use the base
                                                    7 U.S.C. 192(b). These broad provisions,
                                                                                                            growers. Most common among the                        pay as the minimum pay rate, so
                                                    which have not previously been
                                                                                                            reasons for supporting the proposed rule              implementing the provision regarding
                                                    interpreted in regulations, make
                                                                                                            was the control the poultry company                   base pay would not be difficult. Several
                                                    enforcement difficult and create
                                                                                                            has over inputs. Growers have no                      comments said that ‘‘like house type’’
                                                    uncertainty among industry participants
                                                                                                            control over numerous inputs that                     was poorly defined. Depending on the
                                                    regarding compliance.
                                                                                                            ultimately determine pay. In particular,              interpretation, there could be many
                                                       GIPSA is proposing these regulations                 the poultry companies control the                     different categories of like house types
                                                    to clarify when certain conduct in the                  following inputs and production                       in which case, there could be very few
                                                    poultry industry related to poultry                     variables: Chick health, number of                    growers in a given settlement group.
                                                    grower ranking systems violates sections                chicks placed, feed quality,                             Commenters critical of the poultry
                                                    202(a) or 202(b) of the P&S Act. A                      medications, growout time, breed and                  grower ranking system focused on the
                                                    poultry grower ranking system,                          type of bird, weighing of the birds, and              live poultry dealer’s control over the
                                                    sometimes called a ‘‘tournament,’’ is the               weighing of the feed. Commenters                      inputs. Inputs and other factors
                                                    process used by live poultry dealers to                 complained that the poultry grower                    influencing performance and pay are
                                                    determine final payment to poultry                      ranking system is a poor indicator of the             not equal among growers. Commenters
                                                    growers upon settlement of each flock.                  grower’s abilities and performance in                 noted that variations in chicks, feed,
                                                    Under a poultry grower ranking system,                  growing chickens. One commenter                       and medications have a significant
                                                    growers whose flocks are slaughtered                    pointed out that bird age can vary as                 influence on the poultry grower’s
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                                                    during the same settlement week are                     much as 9 days in a group. Due to the                 performance, but the grower has no
                                                    paid according to a structure that                      relatively short growing period for                   control or influence over the quality of
                                                    compares growers’ feed efficiency and                                                                         those inputs. As an example, one
                                                    live weight of the grown birds delivered                  1 Poultry grower ranking systems are used           comment stated that male chickens have
                                                    to the plant. Growers with better                       extensively in broiler production. The ranking        higher average weight gain than female
                                                                                                            systems are also used in turkey production.
                                                    performance according to a live poultry                 References in this document to chicks, chickens, or
                                                                                                                                                                  chickens. Therefore, if one grower gets
                                                    dealer’s standards are ranked higher                    broilers are also relevant to the use of grower       a higher percentage of male chickens
                                                    than growers with lower performance                     ranking systems in turkey production.                 than other growers, that grower could


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                                                                         Federal Register / Vol. 81, No. 244 / Tuesday, December 20, 2016 / Proposed Rules                                         92725

                                                    have an advantage in the ranking system                 nor would it prescribe specific payment               feed, and medication) to one or more
                                                    over growers who receive all or a higher                to be made to growers. Instead, after                 poultry growers in the ranking group.
                                                    percentage of female chickens. The                      consideration of the comments received,               With regards to supplying inferior birds,
                                                    breed of the poultry is also a factor.                  we are proposing a rule that encourages               as discussed above, lower quality chicks
                                                    Growers who receive a breed that does                   better sharing of information with                    may result from very young or very old
                                                    not perform as well, due to the                         growers and fairness in areas under a                 breeder hens, from a poultry breed that
                                                    characteristics of that breed, are                      live poultry dealer’s control. Proposed               does not perform as well as other breeds
                                                    disadvantaged compared to growers                       new § 201.214 sets forth criteria that the            in the growout, or for other reasons. If
                                                    who receive a better-performing breed.                  Secretary may consider to determine                   a poultry grower consistently receives
                                                    Another factor noted by commenters                      whether live poultry dealers have used                lower quality or inferior chicks, the
                                                    was the age of the breeder flock and that               the poultry grower ranking system in a                grower will experience higher mortality
                                                    chicks from breeder hens that are very                  manner that violates sections 202(a) or               rates and lower efficiency. The grower
                                                    young or very old are known to be                       (b) of the P&S Act.                                   will rank lower in the settlement group
                                                    inferior to chicks from hens that are of                   Proposed new § 201.214, ‘‘Poultry                  and receive less compensation as
                                                    prime egg-laying age. Commenters                        Grower Ranking Systems’’ would                        compared to the other growers in the
                                                    stated that poultry growers who get all                 establish a non-exhaustive list of criteria           settlement group. Similarly, if a poultry
                                                    or a higher percentage of chicks from                   the Secretary may consider when                       grower receives lower quality feed, or if
                                                    very old or very young breeder hens are                 determining whether a live poultry                    the grower receives less feed than the
                                                    at a disadvantage compared to growers                   dealer has violated the P&S Act with                  quantity used to calculate payment, the
                                                    who receive chicks from hens in the                     respect to the use of a poultry grower                grower’s performance will suffer as
                                                    prime weeks of laying good eggs. Citing                 ranking system. Under proposed                        compared to other growers in the
                                                    these examples, commenters pointed                      § 201.214(a), the Secretary may consider              settlement group. Also, if a grower’s
                                                    out the ways live poultry dealers could                 whether the grower is provided enough                 flock needs medication, but the live
                                                    give preferential treatment to some                     information to make informed decisions                poultry dealer fails to provide the
                                                    growers by delivering superior chicks to                regarding the grower’s poultry                        medication, or if one flock is placed on
                                                    their farms.                                            production operation. Such information                a different treatment schedule, the flock
                                                       Other comments focused on the                        would include the anticipated number                  performance may suffer as compared to
                                                    quantity and quality of feed. One                       of flocks per year and the average gross              other flocks in the settlement group.
                                                    poultry grower commented about the                      income from each flock. Because most                  Under proposed § 201.214(c), the
                                                    effect on rankings when the live poultry                growers borrow substantial sums of                    Secretary may consider additional
                                                    dealer assumes that the grower receives                 money to build and upgrade houses to                  company-controlled factors that could
                                                    more feed than the live poultry dealer                  meet the live poultry dealer’s                        affect a grower’s performance in a
                                                    actually delivered. The grower                          specifications, a grower would want a                 settlement group.
                                                    explained that a 200 pound under-                       contract of sufficient length and with                   Proposed § 201.214(d) provides that
                                                    delivery of feed in a system where                      sufficient poultry production to repay                the Secretary may consider whether the
                                                    production costs are averaged to ten-                   the loan. For that reason, it is important            live poultry dealer has demonstrated a
                                                    thousandths of a cent, would affect the                 for the poultry grower to know the                    legitimate business justification for
                                                    rankings and cause the grower to be                     anticipated average gross income from                 conduct that may otherwise be unfair,
                                                    paid less than other growers in the                     each flock in order to plan accordingly               unjustly discriminatory, or deceptive, or
                                                    settlement group. Another grower                        for future earnings and investments.                  that gives an undue or unreasonable
                                                    commented that he had received a                        Live poultry dealers should disclose                  preference or advantage to any poultry
                                                    delivery of bad feed that made the                      information necessary to enable the                   grower or subjects any poultry grower to
                                                    chickens sick. Although the live poultry                grower to make informed decisions.                    an undue or unreasonable prejudice or
                                                    dealer replaced the bad or spoiled feed,                   Under proposed § 201.214(b), the                   disadvantage. A legitimate business
                                                    the damage had been done and the                        Secretary may consider whether a live                 justification for certain conduct may be
                                                    grower’s flock ranked at the bottom of                  poultry dealer supplies inputs (e.g.,                 sufficient to find that the conduct does
                                                    the poultry grower ranking for that                     birds, feed, and medication) of                       not violate the P&S Act. We request
                                                    settlement group. These commenters                      comparable quality and quantity to all                comment on the types of conduct that
                                                    were expressing their frustration with                  poultry growers in the ranking group.                 might be considered for a legitimate
                                                    the poultry grower ranking system that                  When considering the inputs provided                  business justification, in order to give
                                                    relied on inputs over which they had no                 by the live poultry dealer to the poultry             further context to this provision in the
                                                    control.                                                grower and the growout specifications                 final rule.
                                                       Recognizing that not all inputs are the              established for the poultry grower,                      Concurrent with the publication of
                                                    same, in proposed new § 201.214,                        GIPSA does not require uniformity, but                this proposed rule, GIPSA is also
                                                    GIPSA is not proposing that all poultry                 rather fairness among the growers in a                proposing another rule in this issue of
                                                    growers receive the same quality inputs,                settlement group. Growers are not paid                the Federal Register that, among other
                                                    or that growers only be ranked in                       based solely on their individual                      things, would clarify the conduct or
                                                    settlement groups where all growers                     performance, but as compared to other                 action by packers, swine contractors, or
                                                    receive the same quality inputs. In each                growers in a settlement group. When a                 live poultry dealers that GIPSA
                                                    settlement group, it is very likely that                grower received inputs of either                      considers unfair, unjustly
                                                    the live poultry dealer will place chicks               superior or inferior quality as compared              discriminatory, or deceptive and a
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                                                    on some farms that are inferior to other                to the inputs provided to other growers,              violation of section 202(a) of the P&S
                                                    chicks simply due to the variation in the               that grower may be at either an                       Act. Specifically, this proposed rule
                                                    birds. Likewise, feed quality or the                    advantage or disadvantage when flocks                 includes § 201.210, ‘‘Unfair, unjustly
                                                    delivery quantity may vary.                             are settled depending on the quality of               discriminatory, or deceptive practices or
                                                       Unlike the proposed rule published in                the inputs received. Under proposed                   devices by packers, swine contractors,
                                                    2010 regarding poultry grower ranking                   § 201.214(b), the Secretary may also                  or live poultry dealers,’’ which includes
                                                    systems, this proposed rule would not                   consider whether there is a pattern of                in paragraph (b) a non-exhaustive list of
                                                    prohibit or prescribe certain conduct,                  supplying inferior inputs (e.g., birds,               conduct or action that, absent


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                                                    92726                Federal Register / Vol. 81, No. 244 / Tuesday, December 20, 2016 / Proposed Rules

                                                    demonstration of a legitimate business                  not to publish this rule as a final rule              The criteria would also address whether
                                                    justification, GIPSA believes is unfair,                and has removed the requirements and                  the inputs, including birds, feed, and
                                                    unjustly discriminatory, or deceptive                   prohibitions in the rule proposed on                  medication, provided by live poultry
                                                    and a violation of section 202(a) of the                June 22, 2010.                                        dealers to poultry growers are of
                                                    P&S Act, regardless of whether the                         GIPSA has re-written § 201.214 and is              consistent quality and quantity. The
                                                    conduct harms or is likely to harm                      proposing this regulation to establish                criteria would recognize the non-
                                                    competition. Currently, proposed                        criteria the Secretary may consider in                uniformity of inputs provided by live
                                                    § 201.210(b) contains nine examples. In                 determining whether a live poultry                    poultry dealers to growers and
                                                    this rule, GIPSA is proposing to add to                 dealer has used a poultry grower                      discourage the live poultry dealer from
                                                    proposed § 201.210(b) a tenth example,                  ranking system to compensate poultry                  consistently providing superior or
                                                    § 201.210(b)(10) GIPSA also considers a                 growers in an unfair, unjustly                        inferior inputs to growers in a manner
                                                    live poultry dealer’s failure to use a                  discriminatory, or deceptive manner, or               that consistently affects grower
                                                    poultry grower ranking system in a fair                 in a way that gives an undue or                       compensation. The criteria also would
                                                    manner after applying the criteria in                   unreasonable preference or advantage to               consider whether live poultry dealers
                                                    § 201.214 to be an unfair, unjustly                     any poultry grower or subjects any                    have provided poultry growers with
                                                    discriminatory, or deceptive practice or                poultry grower to an undue or                         dissimilar production variables such as
                                                    device and a violation of section 202(a)                unreasonable prejudice or                             the density at which the live poultry
                                                    of the P&S Act regardless of whether it                 disadvantage.2 Coupled with § 201.3(a),               dealer places birds, target bird sizes, and
                                                    harms or is likely to harm competition.                 which is being published as an interim                age of birds at slaughter that affects the
                                                                                                            final rule concurrently in this edition of            performance and grower ranking.
                                                    IV. Required Impact Analyses                            the Federal Register and proposed                     Finally, the criteria would consider
                                                    Executive Order 12866 and Regulatory                    § 201.210(b)(10), which is discussed                  whether a live poultry dealer has
                                                    Flexibility Act                                         below, the criteria clarify whether a live            demonstrated a legitimate business
                                                                                                            poultry dealer’s use of a poultry grower              justification for conduct that may
                                                       This rulemaking has been determined                  ranking system violates sections 202(a)
                                                    to be significant for the purposes of                                                                         otherwise be unfair, unjustly
                                                                                                            and/or 202(b) of the P&S Act.                         discriminatory, or deceptive or gives an
                                                    Executive Order 12866 and, therefore,                      Interim Final § 201.3(a) states that
                                                    has been reviewed by the Office of                                                                            undue or unreasonable preference or
                                                                                                            certain conduct or action can be found                advantage to any poultry grower or
                                                    Management and Budget. As a required                    to violate sections 202(a) and/or 202(b)
                                                    part of the regulatory process, GIPSA                                                                         subjects any poultry grower to an undue
                                                                                                            of the P&S Act without a finding of                   or unreasonable prejudice or
                                                    prepared an economic analysis of                        harm or likely harm to competition in
                                                    proposed § 201.214. The first section of                                                                      disadvantage.
                                                                                                            all cases. Proposed § 201.210(b)(10)
                                                    the analysis is an introduction and                     would add to proposed § 201.210(b),                   Prevalence of Poultry Contracts and
                                                    discussion of the prevalence of                         which is published as part of a separate              Poultry Grower Ranking Systems
                                                    contracting in the poultry industry as                  proposed rule in this edition of the                     The production of poultry is highly
                                                    well as a discussion of potential market                Federal Register, another example of                  vertically integrated with live poultry
                                                    failures. Next, GIPSA discusses three                   conduct or action by a live poultry                   dealers owning or controlling most
                                                    regulatory alternatives it considered and               dealer that absent demonstration of a                 segments of the value chain. Live
                                                    presents a summary cost-benefit                         legitimate business justification, GIPSA              poultry dealers typically own the
                                                    analysis of each alternative. GIPSA then                considers an unfair, unjustly                         breeding stock, the hatcheries, the
                                                    discusses the impact on small                           discriminatory, or deceptive practice or              feedmills, the live birds, and they own
                                                    businesses.                                             device and a violation of section 202(a)              and operate the slaughter operations.
                                                    Introduction                                            of the P&S Act regardless of whether the              Live poultry dealers typically contract
                                                                                                            conduct or action harms or is likely to               out the growing operations for their live
                                                      GIPSA issued a proposed rule on June                  harm competition. Specifically,                       birds to independent poultry growers.
                                                    22, 2010, which included § 201.214.                     proposed § 201.210(b)(10) would clarify               Live poultry dealers who own or control
                                                    GIPSA has revised the 2010 version of                   that absent demonstration of a                        most segments of the value chain and
                                                    § 201.214 and is now proposing a new                    legitimate business justification, GIPSA              contract out the growing operations of
                                                    § 201.214. The rule GIPSA proposed on                   considers the failure to use a poultry                live birds are commonly referred to as
                                                    June 22, 2010, included several                         grower ranking system in a fair manner                integrators.3
                                                    requirements regarding live poultry                     after applying the criteria in proposed                  Broilers are almost exclusively grown
                                                    dealers’ use of tournament systems.                     § 201.214 to be an unfair, unjustly                   under production contracts. In 2012,
                                                    That section of the proposed rule would                 discriminatory, or deceptive practice or              96.4% of broilers were grown under
                                                    have required live poultry dealers                      device and a violation of section 202(a)              contract, while 68.5% of turkeys were
                                                    paying growers on a tournament system                   of the P&S Act regardless of whether it               grown under production contracts.
                                                    to pay growers raising the same type                    harms or is likely to harm competition.               Under a production contract, the live
                                                    and kind of poultry the same base                       Since § 201.210(b)(10) relies on the                  poultry dealer provides the poultry
                                                    compensation and further required that                  criteria in § 201.214, the estimated costs            grower with many inputs including the
                                                    growers be settled in groups with other                 and benefits of § 201.210(b)(10) are                  live chicks, feed, and medications. The
                                                    growers with like house types. The rule                 included in the estimated costs and                   poultry grower in turn provides the
                                                    also prohibited live poultry dealers from
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                                                                                                            benefits of § 201.214.                                housing, labor, water, electricity, fuel,
                                                    offering poultry growing arrangements                      The criteria in proposed § 201.214
                                                    containing provisions that decrease or                  would include whether a live poultry                     3 For the purposes of this Regulatory Impact
                                                    reduce grower compensation below the                    dealer has provided sufficient                        Analysis, the terms live poultry dealer and
                                                    base compensation amount.                               information to enable a poultry grower                integrator are used interchangeably. P&SP has
                                                      Upon review of public comments                                                                              jurisdiction over live poultry dealers, most of which
                                                                                                            to make informed business decisions.                  are also integrators. The only time the Regulatory
                                                    received both in writing and through                                                                          Impact Analysis will refer to integrators is when
                                                    public meetings held during the                           2 A tournament system is a type of poultry grower   another author uses the term integrator as in Table
                                                    comment period in 2010, GIPSA elected                   ranking system.                                       2.



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                                                                                 Federal Register / Vol. 81, No. 244 / Tuesday, December 20, 2016 / Proposed Rules                                                                             92727

                                                    and provides for waste removal. At the                                     plant in the same week are grouped                                     less compensation to growers with
                                                    end of the grow-out period, the live                                       together for payment purposes. Their                                   higher costs.
                                                    poultry dealer typically picks up the                                      cost per pound of live weight is                                         Contracting is an important and
                                                    birds for slaughter. The payment to the                                    averaged using standard costs for chicks                               prevalent feature in the production of
                                                    poultry grower for the growing services                                    and feed. Live poultry dealers then rank                               poultry. The following table shows the
                                                    is often determined by a poultry grower                                    the growers based on cost. Live poultry                                share of poultry, by type, produced
                                                    ranking system outlined in the                                             dealers typically reward growers with                                  under contract over the years that the
                                                    production contract.                                                       lower costs by providing higher
                                                       Under a typical poultry grower                                                                                                                 Census of Agriculture has published
                                                                                                                               compensation for their growing services.                               data on commodities raised and
                                                    ranking system, all growers who grew
                                                                                                                               Live poultry dealers typically provide                                 delivered under production contracts.
                                                    birds that were shipped to the same

                                                                          TABLE 1—PERCENTAGE OF POULTRY RAISED AND DELIVERED UNDER PRODUCTION CONTRACTS 4
                                                                                                                      Poultry                                                                           2002               2007              2012

                                                    Broilers (%) ..................................................................................................................................            98.0               96.5              96.4
                                                    Turkeys (%) .................................................................................................................................              41.7               67.7              68.5



                                                    Benefits of Contracting in Agricultural                                    income and access to financing to invest                                  For example, a contract that ties a
                                                    Production and the Poultry Industry                                        in more efficient types of houses. More                                grower to a single purchaser of a
                                                       Agricultural production contracts                                       efficient housing may lead to higher                                   specialized commodity, even if the
                                                    have many benefits. They help farmers                                      compensation under poultry grower                                      contract provides for fair compensation
                                                    and livestock producers manage price                                       ranking systems. Contract poultry                                      to the grower, still leaves the grower
                                                    and production risks, elicit the                                           growing arrangements have benefited                                    subject to default risks should the
                                                    production of products with specific                                       live poultry dealers by shifting the                                   contractor fail. Another example is a
                                                    quality attributes by tying prices to                                      capital expenses of growing poultry to                                 contract that covers a shorter term than
                                                    those attributes, and facilitate the                                       the poultry growers.                                                   the life of the capital (a poultry house,
                                                    smooth flow of commodities to                                                 The pervasive use of contract poultry                               for example). The grower may face the
                                                    processing plants encouraging more                                         growing arrangements has benefited the                                 hold-up risk that the contractor (live
                                                    efficient use of farm and processing                                       poultry industry and consumers by                                      poultry dealer) may require additional
                                                    capacities. Agricultural production                                        increasing the rate of adoption of new
                                                                                                                                                                                                      capital investments or may impose
                                                    contracts can also lead to improvements                                    technology, increasing feed conversion,
                                                                                                                                                                                                      lower returns at the time of contract
                                                    in efficiency throughout the supply                                        and increasing the ability of the
                                                                                                                                                                                                      renewal. Hold-up risk is a potential
                                                    chain for products by providing farmers                                    industry to respond to changes in
                                                                                                                               consumer demand.6 The prevalence of                                    market failure and is discussed in detail
                                                    with incentives to deliver products
                                                                                                                               contract poultry growing arrangements                                  in the next section. These risks may be
                                                    consumers desire and produce products
                                                                                                                               in the poultry industry is evidence of                                 heightened when there are no
                                                    in ways that reduce processing costs
                                                    and, ultimately, retail prices. Poultry                                    the benefits to growers, live poultry                                  alternative buyers for the grower to
                                                    production contracts are a specific type                                   dealers, and consumers.                                                switch to, or when the capital
                                                    of agricultural production contract that                                                                                                          investment is specific to the original
                                                                                                                               Structural Issues in the Poultry Industry                              buyer.7 Some growers make substantial
                                                    are widely used due to the benefits of
                                                    growing poultry under production                                              As the above discussion highlights,                                 long-term capital investments as part of
                                                    contract arrangements.                                                     there are important benefits associated                                poultry production contracts, including
                                                       There are benefits to both live poultry                                 with the use of agriculture contracts in                               land, poultry houses, and equipment.
                                                    dealers and poultry growers from                                           the poultry industry. However, if there                                Those investments may tie the grower to
                                                    entering into agricultural production                                      are large disparities in the bargaining                                a single integrator. Costs associated with
                                                    contracts, referred to as contract poultry                                 power among contracting parties                                        default risks and hold-up risks are
                                                    growing arrangements 5 in the poultry                                      resulting from size differences between                                important to many growers in the
                                                    industry. Contract poultry growing                                         contracting parties or the use of market                               industry. The table below shows the
                                                    arrangements allow for a sharing of risk                                   power by one of the contracting parties,                               number of integrators that broiler
                                                    between the live poultry dealer and the                                    the contracts may have detrimental                                     growers have in their local areas by
                                                    poultry grower. Contract poultry                                           effects on one of the contracting parties                              percent of total farms and by total
                                                    growing arrangements have provided                                         and may result in inefficiencies in the                                production.
                                                    poultry growers with predictable                                           marketplace.
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                                                      4 Agricultural Census, 2007 and 2012. https://                           contract, marketing agreement, or other                                  7 See Vukina and Leegomonchai, Oligopsony

                                                    www.agcensus.usda.gov/Publications/2012/Full_                              arrangement under which a poultry grower raises                        Power, Asset Specificity, and Hold-Up: Evidence
                                                    Report/Volume_1,_Chapter_1_US/ and https://                                and cares for live poultry for delivery, in accord                     From The Broiler Industry, American Journal of
                                                    www.agcensus.usda.gov/Publications/2007/Full_                              with another’s instructions, for slaughter.’’                          Agricultural Economics, 88(3): 589–605 (August
                                                    Report/Volume_1,_Chapter_1_US/.                                              6 Vukina, Tomislav, ‘‘Vertical Integration and
                                                      5 Under section 2(a)(9) of the P&S Act, a ‘‘poultry
                                                                                                                                                                                                      2006).
                                                                                                                               Contracting in the U.S. Poultry Sector,’’ Journal of
                                                    growing arrangement’’ is defined as ‘‘any growout                          Food Distribution Research, July 2001.



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                                                    92728                         Federal Register / Vol. 81, No. 244 / Tuesday, December 20, 2016 / Proposed Rules

                                                                                                                TABLE 4—INTEGRATOR CHOICE FOR BROILER GROWERS 8
                                                                                                                                                                                                                                               Can change
                                                                                         Integrators in grower’s area 9                                                               Farms                 Birds            Production         to another
                                                                                                                                                                                                                                                 integrator

                                                                                                          Number                                                                                      Percent of total                          Percent of
                                                                                                                                                                                                                                                  farms

                                                    1 .......................................................................................................................                 21.7                  23.4              24.5                  7
                                                    2 .......................................................................................................................                 30.2                  31.9              31.7                 52
                                                    3 .......................................................................................................................                 20.4                  20.4              19.7                 62
                                                    4 .......................................................................................................................                 16.1                  14.9              14.8                 71
                                                    >4 .....................................................................................................................                   7.8                   6.7               6.6                 77
                                                    No Response ...................................................................................................                            3.8                   2.7               2.7                 Na



                                                       The data in the table show that 52                                         niche markets have a relatively small                                   differences discussed below are also at
                                                    percent of broiler growers, accounting                                        consumer market that is willing to pay                                  the national level, but the economic
                                                    for 56 percent of total production, report                                    higher prices, which supports smaller                                   markets for poultry may be regional or
                                                    having only one or two integrators in                                         plant sizes. Niche processors are                                       local, and concentration in regional or
                                                    their local areas. This limited integrator                                    generally small, however, and do not                                    local areas may be higher than national
                                                    choice may accentuate the contract                                            offer opportunities to many producers                                   measures.14 The data presented earlier
                                                    risks. A 2006 survey indicated that                                           or growers.                                                             in Table 4 highlight this issue by
                                                    growers facing a single integrator                                              Economies of scale have resulted in                                   showing the limited ability a poultry
                                                    received 7 to 8 percent less                                                  large processing plants in the poultry                                  grower has to switch to a different
                                                    compensation, on average, than farmers                                        processing industry. Barriers to entry                                  integrator. As a result, national
                                                    located in areas with 4 or more                                               limit the expansion of choice for poultry                               concentration may not demonstrate
                                                    integrators.10 If live poultry dealers                                        growers who have only one or two                                        accurately the options poultry growers
                                                    already possess some market power to                                          integrators in their local areas with no                                in a particular region actually face.
                                                    force down prices for poultry growing                                         potential entrants on the horizon. The                                    Another factor GIPSA considered in
                                                    services, some contracts can extend that                                      limited expansion of choice of                                          proposing § 201.214 is the contrast in
                                                    power by raising the costs of entry for                                       processors by poultry growers may limit                                 size and scale between poultry growers
                                                    new competitors, or allowing for price                                        contract choices and the bargaining                                     and the live poultry dealers they supply.
                                                    discrimination.11                                                             power of growers in negotiating                                         The disparity in size between large
                                                       Many poultry processing markets face                                       contracts.                                                              oligopsonistic buyers and atomistic
                                                    barriers to entry, including: (1)                                               One indication of potential market                                    sellers may lead to market power. The
                                                    Economies of scale; (2) high asset-                                           power is industry concentration.12 The                                  National Chicken Council states that in
                                                    specific capital costs with few                                               following table shows the level of                                      2016, approximately 35 companies were
                                                    alternative uses of the capital; (3) brand                                    concentration in the poultry                                            involved in the business of raising,
                                                    loyalty of consumers, customer loyalty                                        slaughtering industry for 2007–2015.                                    processing, and marketing chicken on a
                                                    to the incumbent processors, and high                                                                                                                 vertically integrated basis, while about
                                                    customer switching costs; and (4)                                             TABLE 5—FOUR-FIRM CONCENTRATION                                         25,000 family farmers had production
                                                    governmental food safety, bio-hazard,                                              IN POULTRY SLAUGHTER 13                                            contracts with those companies.15 That
                                                    and environmental regulations.                                                                                                                        comes to about 714 family-growers per
                                                    Consistent with these barriers, there has                                           Year                   Broilers                Turkeys            company. Collectively, the family-
                                                    been limited new entry.                                                                                      (%)                     (%)              growers produced about 95 percent of
                                                       However, an area where entry has                                                                                                                   the nearly 9 billion broilers produced in
                                                                                                                                  2007     ..........                           57                   52
                                                    been successful is in developing and                                          2008     ..........                           57                   51   the United States in 2015. The other 5
                                                    niche markets, such as organic meat and                                       2009     ..........                           53                   58   percent were grown on company-owned
                                                    free-range chicken. Developing and                                            2010     ..........                           51                   56   farms. That means the average family-
                                                                                                                                  2011     ..........                           52                   55   grower produced about 342,000 broilers.
                                                       8 MacDonald, James M. Technology,                                          2012     ..........                           51                   53   As Table 5 shows, the four largest
                                                    Organization, and Financial Performance in U.S.                               2013     ..........                           54                   53   poultry companies in the United States
                                                    Broiler Production. USDA, Economic Research                                   2014     ..........                           51                   58
                                                    Service, June 2014.                                                                                                                                   accounted for 51 percent of the broilers
                                                                                                                                  2015     ..........                           51                   57
                                                       9 Percentages were determined from the USDA                                                                                                        processed. That means the average
                                                    Agricultural Resource Management Survey (ARMS),                                                                                                       volume processed by the four largest
                                                                                                                                    The table above shows the
                                                    2011. ‘‘Respondents were asked the number of                                                                                                          poultry companies was about 1.15
                                                    integrators in their area. They were also asked if                            concentration of the four largest broiler
                                                                                                                                                                                                          billion head, which was 3,357 times the
                                                    they could change to another integrator if they                               and turkey processors has remained
                                                    stopped raising broilers for their current integrator.’’                                                                                              average family grower’s volume.
                                                                                                                                  relatively steady at between 50 and 60                                    As the above discussion highlights,
                                                    Ibid. p. 30.
                                                       10 MacDonald, J. and N. Key. ‘‘Market Power in
                                                                                                                                  percent.                                                                there are large size differences between
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                                                                                                                                    The data in Table 5 are estimates of
                                                    Poultry Production Contracting? Evidence from a                                                                                                       poultry growers and the live poultry
                                                    Farm Survey.’’ Journal of Agricultural and Applied                            national concentration and the size
                                                                                                                                                                                                          dealers which they supply. These size
                                                    Economics. 44(4) (November 2012): 477–490.
                                                       11 See, for example, Williamson, Oliver E.                                   12 For additional discussion see MacDonald, J.M.
                                                                                                                                                                                                          differences may contribute to unequal
                                                    Markets and Hierarchies: Analysis and Antitrust                               2016 ‘‘Concentration, contracting, and competition
                                                                                                                                                                                                            14 MacDonald and Key (2012) Op. Cit. and Vukina
                                                    Implications, New York: The Free Press (1975);                                policy in U.S. agribusiness,’’ Competition Law
                                                    Edlin, Aaron S. & Stefan Reichelstein (1996)                                  Review, No. 1–2016: 3–8.                                                and Leegomonchai (2006) Op. Cit.
                                                    ‘‘Holdups, Standard Breach Remedies, and Optimal                                13 These data were compiled from Packers and                            15 http://www.nationalchickencouncil.org/about-

                                                    Investment,’’ The American Economic Review                                    Stockyards industry annual reports, a proprietary                       the-industry/statistics/broiler-chicken-industry-key-
                                                    86(3): 478–501 (June 1996).                                                   data source.                                                            facts/.



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                                                                         Federal Register / Vol. 81, No. 244 / Tuesday, December 20, 2016 / Proposed Rules                                         92729

                                                    bargaining power due to monopsony                         Data shown above in Table 4 indicate                promoting fairness and equity for
                                                    market power or oligopsony market                       that there are few integrators in these               poultry growers.
                                                    power, or asymmetric information. The                   markets, and that growers have limited
                                                                                                                                                                  Cost-Benefit Analysis of the Proposed
                                                    result is that the contracts bargained                  choice. Table 5, above, indicates the
                                                                                                                                                                  Rule
                                                    between the parties may have                            level of concentration in the poultry
                                                    detrimental effects on poultry growers                  processing industry and shows that                    Costs of the Regulations Proposed on
                                                    due to the structural issues discussed                  integrators operate in concentrated                   June 22, 2010
                                                    above and may result in inefficiencies in               markets.                                                 GIPSA issued a proposed rule on June
                                                    the marketplace.                                          This rule would allow growers to file               22, 2010, with several new regulations,
                                                                                                            complaints against integrators that                   many of which had the potential to
                                                    Hold-Up as a Potential Market Failure                   renege, giving some of the incentive                  impact the poultry industry. A brief
                                                       Integrators demand investment in                     benefit of competition, without                       summary of the regulations proposed in
                                                    fixed assets from the growers. One                      compromising the efficiency of having                 2010 follows.
                                                    example is specific types of poultry                    few large processors. In addition to                     • Proposed § 201.3(c) stated that
                                                    houses and equipment the integrator                     addressing the potential market failure               certain conduct may be found to violate
                                                    may require the grower to utilize in                    of hold-up, this rule would address                   sections 202(a) and/or 202(b) of the P&S
                                                    their growing operations. These                         inefficiencies due to incomplete and                  Act without a finding of harm or likely
                                                    investments may improve efficiency by                   asymmetric information in poultry                     harm to competition.
                                                    more than the cost of installation.                     markets. Poultry growers who lack                        • Proposed § 201.210 would have
                                                    Typically, the improved efficiency                      adequate information on the expected                  provided specific examples of conduct
                                                    would accrue to both the integrator and                 revenue from a growing arrangement                    that violate section 202(a) regardless of
                                                    the grower. The integrator has lower                    may make inefficient investment                       whether the conduct harms or is likely
                                                    feed costs, and the grower performs                     decisions. For instance, a grower may                 to harm competition.
                                                    better relative to other poultry growers                invest too much money in building new                    • Proposed § 201.211 would have
                                                    in a settlement group. If the grower                    houses or purchasing upgrades relative                provided specific criteria the Secretary
                                                    bears the entire cost of installation, then             to what they would choose if they were                may consider when determining
                                                    the grower should be further                            fully informed about the expected                     whether an undue or unreasonable
                                                    compensated for the feed conversion                     return from those investments. By                     preference or advantage or an undue or
                                                    gains that accrue to the integrator. The                requiring that growers be provided                    unreasonable prejudice or disadvantage
                                                    risk is that after the assets are installed,            sufficient information to make informed               has occurred in violation of section
                                                    the cost to the grower is ‘‘sunk.’’ This                business decisions, this rule would help              202(b) of the P&S Act.
                                                    means that if the integrator reneges on                 mitigate non-optimal investment by                       • Proposed § 201.213 stated that live
                                                    paying compensation for the additional                  growers and improves social welfare.                  poultry dealers obtaining poultry under
                                                    capital investments, and insists on                     Contracting, Industry Structure, and                  a poultry growing arrangement must
                                                    maintaining the lower price, the grower                 Market Failure: Summary of the Need                   submit a sample copy of each unique
                                                    will accept that lower price rather than                for Regulation                                        contract or agreement to GIPSA for
                                                    receive nothing. This allows the                                                                              posting on its Web site.
                                                    integrator to get the benefit of efficiency
                                                                                                               There are benefits of contracting in                  • Proposed § 201.214 would have
                                                                                                            the poultry industry, as well as                      required live poultry dealers paying
                                                    gains, at no expense to them, with the
                                                                                                            structural issues that may result in                  growers on a tournament system to pay
                                                    grower bearing all of the cost. This
                                                                                                            unequal bargaining power and market                   growers raising the same type and kind
                                                    reneging is termed ‘‘hold-up’’ in the
                                                                                                            failures. These structural issues and                 of poultry the same base compensation
                                                    economic literature.16                                  market failures would be mitigated by
                                                       Hold-up can have two consequences                                                                          and further required that growers be
                                                                                                            relieving plaintiffs from the requirement             settled in groups with other growers
                                                    that result in market failures. If the                  to demonstrate competitive injury. For
                                                    growers do not anticipate hold-up, then                                                                       with like house types. Proposed
                                                                                                            instance, contracting parties can                     § 201.214 also would have prohibited
                                                    growers will spend too much on                          alleviate hold-up problems if they are
                                                    investments because the integrator who                                                                        live poultry dealers from offering
                                                                                                            able to write complete contracts, and are             poultry growing arrangements
                                                    demands them is not incurring any cost.                 able to litigate to enforce the terms of
                                                    That is inefficient. If the grower does                                                                       containing provisions that decrease or
                                                                                                            those contracts when there is an attempt              reduce grower compensation below the
                                                    anticipate hold-up, they will act as if the             to engage in ex-post hold-up. Because
                                                    integrator was going to renege even                                                                           base compensation amount.
                                                                                                            proving competitive injury is difficult                  • Proposed § 201.215 would have
                                                    when it was not, resulting in too little                and costly, removing that burden                      provided specific criteria the Secretary
                                                    investment and loss of potential                        facilitate the use of litigation by                   may consider when determining
                                                    efficiency gains.                                       producers and growers to address                      whether a poultry grower was provided
                                                       Hold-up can be resolved with                         violations of the Packers and Stockyards              with reasonable notice prior to
                                                    increased competition. If an integrator                 Act. If growers are able to seek legal                suspension of the delivery of birds to a
                                                    developed a reputation for reneging, and                remedies, then their contracts would be               poultry grower.
                                                    growers could go elsewhere, the initial                 easier to enforce. This will incentivize                 • Proposed § 201.216 would have set
                                                    integrator would be punished and                        integrators to avoid exploitation of                  forth specific criteria the Secretary may
                                                    disincentivized from reneging in the                    market power and asymmetric                           consider when determining whether a
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                                                    future. Unfortunately, in practice, many                information, as well as behaviors that                requirement that a poultry grower make
                                                    growers do not have the option of going                 result in the market failure of hold-up.              additional capital investments
                                                    elsewhere.                                              The result will be improved efficiency                constitutes an unfair practice in
                                                                                                            in poultry markets. GIPSA has a clear                 violation of the P&S Act.
                                                      16 See for example, Benjamin Klein, Robert G.
                                                                                                            role to ensure that market failures are                  • Proposed § 201.217 would have set
                                                    Crawford, and Armen A. Alchian, ‘‘Vertical
                                                    Integration, Appropriable Rents, and the
                                                                                                            mitigated so that poultry markets                     forth the conditions under which a
                                                    Competitive Contracting Process,’’ The Journal of       remain fair and competitive. Section                  poultry grower may be required to make
                                                    Law and Economics 21, no 2 (Oct., 1978): 297–326.       201.214 seeks to fulfill that role by                 additional capital investments.


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                                                    92730                Federal Register / Vol. 81, No. 244 / Tuesday, December 20, 2016 / Proposed Rules

                                                       • Proposed § 201.218 would have                      in a way that gives an undue or                       litigation, which would reduce
                                                    provided specific criteria the Secretary                unreasonable preference or advantage to               monetary incentives to encourage
                                                    may consider in determining whether a                   any poultry grower or subjects any                    innovation and investment in new
                                                    live poultry dealer has provided a                      poultry grower to an undue or                         technology by growers. The resulting
                                                    poultry grower a reasonable period of                   unreasonable prejudice or disadvantage.               slowdown in investment in new and
                                                    time to remedy a breach of contract.                       GIPSA received numerous comments                   upgraded buildings would negatively
                                                       • Proposed § 201.219 would have                      on the proposed rule in 2010. Although                impact efficiency, measured by feed
                                                    provided specific criteria the Secretary                many thousands of the comments                        conversion.
                                                    may consider when determining                           submitted contained general qualitative                  Comments from the National Chicken
                                                    whether the arbitration process in a                    assessments of either the costs or                    Council included cost estimates
                                                    contract provides a meaningful                          benefits of the proposed rule, only two               prepared by Dr. Thomas E. Elam,
                                                    opportunity for the poultry grower to                   comments systematically described                     President, FarmEcon LLC (the Elam
                                                    participate fully in the arbitration                    quantitative costs across the rule’s                  Study).22 The Elam Study estimated that
                                                    process.                                                provisions.
                                                       GIPSA considered thousands of                                                                              the proposed rule would cost the
                                                                                                               Comments from the National Meat                    chicken industry $84 million in the first
                                                    comments before proposing the current                   Association included cost estimates by
                                                    version of § 201.214. The following                                                                           year increasing to $337 million in the
                                                                                                            Informa Economics (the Informa Study).                fifth year, with a total cost of $1.03
                                                    provisions were in the 2010 rule, but                   The Informa Study estimated that the
                                                    not in the currently proposed                                                                                 billion over the first five years.23 The
                                                                                                            proposed rule would cost the U.S.                     Elam Study identified $6 million as one-
                                                    regulation.                                             poultry industry approximately $361.6
                                                       • Requirement that live poultry                                                                            time administrative costs. The study
                                                                                                            million.17 The Informa Study estimated                states that most of the costs would be
                                                    dealers paying poultry growers on a                     $26.0 million for the one-time direct
                                                    tournament system pay poultry growers                                                                         indirect costs resulting from efficiency
                                                                                                            costs of rewriting contracts, additional              losses,24 while more than half of the
                                                    raising the same type and kind of                       record keeping, etc., $33.4 million for
                                                    poultry the same base compensation,                                                                           costs estimated would be due to a
                                                                                                            the ongoing direct costs, and $302.2                  reduced rate of improvement in feed
                                                    and that poultry growers be settled in                  million for cost increases due to
                                                    groups with other poultry growers with                                                                        efficiency due to the proposed rule
                                                                                                            efficiency losses.18 However, these cost              slowing the pace of innovation in the
                                                    like house types (§ 201.214).                           estimates assumed all of the 2010
                                                       • Prohibition on live poultry dealers                                                                      poultry industry. For litigation costs, the
                                                                                                            proposed changes, many of which now                   Elam Study concluded that the litigation
                                                    from offering growing arrangements                      do not apply.
                                                    containing provisions that decrease or                                                                        costs are substantial, but unknown.
                                                                                                               The Informa Study recognized that                  Again, these cost estimates were for all
                                                    reduce poultry grower compensation                      the economic costs of the 2010 proposed
                                                    below the base compensation amount                                                                            of the 2010 proposed changes, many of
                                                                                                            rule would take time to materialize. The              which now do not apply.
                                                    (§ 201.214(a)).                                         Informa Study estimated that only the
                                                       • Requirement that live poultry                      direct, one-time costs would occur                       Estimates of the costs in the Informa
                                                    dealers submit sample contracts to                      shortly after implementation and the                  Study and the Elam Study were largely
                                                    GIPSA for posting to the public                         more significant impacts, such as                     due to business practices that live
                                                    (§ 201.213).                                            declining efficiency, would happen                    poultry dealers were projected to alter
                                                       Additionally, GIPSA has adjusted the                                                                       in reaction to the proposed rule rather
                                                                                                            more slowly and would not reach the
                                                    rule proposed in 2010 to give live                                                                            than changes in business practices
                                                                                                            full impact until years 3 and 4 in the
                                                    poultry dealers more flexibility in                                                                           directly imposed by the rule proposed
                                                                                                            poultry industry after the rule become
                                                    suspending the delivery of birds and                                                                          in 2010. For example, the Elam Study
                                                                                                            effective.19 Thus, the $361.6 million
                                                    requiring capital improvements and                                                                            expected live poultry dealers to assay (a
                                                                                                            cost estimate by the Informa Study was
                                                    those adjustments are reflected in                                                                            test to determine the quality of feed)
                                                                                                            for when the rule reached its full impact
                                                    current proposed §§ 201.215 and                                                                               each load of feed delivered to growers
                                                                                                            in years 3 and 4. The Informa Study
                                                    201.216, respectively.                                                                                        to avoid litigation.25
                                                       GIPSA is issuing § 201.3(a) as an                    further recognized that companies
                                                                                                            would find ways to adapt to the                          GIPSA believes the cost estimates
                                                    interim final rule concurrently in this
                                                                                                            provisions of the rule and the impact of              presented in the Informa Study and the
                                                    issue of the Federal Register. GIPSA has
                                                                                                            the rule would decrease after year 4.20               Elam Study were overstated. The
                                                    also revised and is currently proposing
                                                                                                               The Informa Study posited that the                 studies relied on interviews that queried
                                                    new versions of §§ 201.210 and 201.211
                                                                                                            several elements in the proposed rule                 the willingness of live poultry dealers to
                                                    concurrently in a separate proposed rule
                                                                                                            would likely alter the integrator-grower              alter their business practices. The
                                                    in this issue of the Federal Register. In
                                                                                                            relationship in such a way as to slow                 estimates, based on interviews, may
                                                    December 2011, GIPSA issued as a final
                                                                                                            down the adoption of new technologies                 overstate costs because the live poultry
                                                    rule §§ 201.215, 201.216, 201.217, and
                                                                                                            that increase efficiency and reduce                   dealers would face adjustment costs
                                                    201.218. Proposed § 201.217, capital
                                                                                                            costs.21 The Informa Study also posited               from the rule proposed in 2010 and had
                                                    investments requirements and
                                                                                                            that the proposed rule would                          incentives to respond that they would
                                                    prohibitions, was removed, and
                                                                                                            significantly increase the threat of                  discontinue current practices. GIPSA
                                                    proposed §§ 201.218 and 201.219 were
                                                                                                                                                                  also believes that certain adjustments
                                                    renumbered as §§ 201.217 and 201.218.
                                                       GIPSA has now revised § 201.214 and
                                                                                                              17 Informa Economics, Inc. ‘‘An Estimate of the     are unlikely to occur. For example,
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                                                                                                            Economic Impact of GIPSA’s Proposed Rules,’’          GIPSA believes it is unlikely that live
                                                    instead of proscribing certain conduct,                 prepared for the National Meat Association, 2010,
                                                    new proposed § 201.214 would establish                  Table 9, Page 53.
                                                                                                                                                                  poultry dealers would take on the costly
                                                    criteria the Secretary may consider in                    18 Ibid. Page 53.
                                                                                                              19 Informa Economics, Inc. ‘‘An Estimate of the       22 See Elam, Dr. Thomas E. ‘‘Proposed GIPSA
                                                    determining whether a live poultry
                                                                                                            Economic Impact of GIPSA’s Proposed Rules,’’          Rules Relating to the Chicken Industry: Economic
                                                    dealer has used a poultry grower                        prepared for the National Meat Association, 2010,     Impact.’’ FarmEcon LLC, 2010.
                                                    ranking system to compensate poultry                    Page 66.                                                23 Ibid. Page 24

                                                    growers in an unfair, unjustly                            20 Ibid, Page 67.                                     24 Ibid. Page 24

                                                    discriminatory, or deceptive manner, or                   21 Ibid. Page 37.                                     25 Elam, Page 18.




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                                                                         Federal Register / Vol. 81, No. 244 / Tuesday, December 20, 2016 / Proposed Rules                                          92731

                                                    task of assaying each load of feed solely               rule to result in a decrease in the use of            criterion in proposed § 201.214(a)
                                                    to avoid litigation.                                    poultry grower ranking systems, lower                 would mainly apply to new growers,
                                                                                                            capital formation, or decreases in                    those growers switching to different live
                                                    Cost-Benefit Analysis of Proposed
                                                                                                            efficiencies in the poultry industry. The             poultry dealers, or to growers
                                                    § 201.214
                                                                                                            only indirect costs that GIPSA                        considering housing upgrades where
                                                    Regulatory Alternatives Considered                      anticipates are the effects of the increase           this information is not already available
                                                       Executive Order 12866 requires an                    in industry costs from the direct costs               to the poultry grower.
                                                    assessment of costs and benefits of                     on supply and demand and the resulting                  In the past, live poultry dealers
                                                    potentially effective and reasonably                    quantity and price impacts on the retail              commonly provided prospective
                                                    feasible alternatives to the planned                    market for chicken and the related input              growers with projection sheets that
                                                    regulation and an explanation of why                    market for broilers.                                  would provide a grower with estimates
                                                    the planned regulatory action is                           To estimate the costs of the proposed              of the minimum and maximum
                                                    preferable to the identified potential                  rule, GIPSA divided costs into two                    compensation they could expect under
                                                    alternatives.26 GIPSA considered three                  major categories, direct and indirect                 a contract. GIPSA’s experience
                                                    regulatory alternatives. The first                      costs. GIPSA expects that direct costs                conducting investigations and
                                                    alternative that GIPSA considered was                   would be comprised of administrative                  compliance reviews in the poultry
                                                    to maintain the status quo and not                      costs. Administrative costs include                   industry has indicated that not all live
                                                    propose the rule. The second alternative                items such as the following: (1)                      poultry dealers currently provide
                                                    that GIPSA considered was revising the                  Providing income projections to                       projection sheets to poultry growers.
                                                                                                            growers; (2) development of company-                    GIPSA expects that it would not be
                                                    version of § 201.214 that GIPSA
                                                                                                            specific consistency management                       difficult for live poultry dealers to
                                                    published in 2010 and proposing it as
                                                                                                            systems (CMSs) to ensure poultry                      develop and provide projection sheets
                                                    a new rule. This is GIPSA’s preferred
                                                                                                            grower ranking systems are not used in                for each contract type to all current and
                                                    alternative as will be explained below.
                                                                                                            an unfair, unjustly discriminatory, or                prospective growers. GIPSA believes
                                                    The third alternative that GIPSA
                                                                                                            deceptive manner or in any way that                   that providing projection sheets to
                                                    considered was proposing a new version
                                                                                                            gives an undue or unreasonable                        growers that contained the minimum,
                                                    of § 201.214, but instituting a phased
                                                                                                            preference, advantage, prejudice, or                  average, and maximum compensation
                                                    implementation of the proposed rule.
                                                                                                            disadvantage; (3) additional record                   they can expect for the contract type
                                                    Under this alternative, proposed
                                                                                                            keeping; (4) review of written contracts              they are considering or under which
                                                    § 201.214 would only take effect when
                                                                                                            by attorneys and the employees of                     they are currently growing would be
                                                    a poultry growing contract expires, is
                                                                                                            regulated companies; and (5) all other                sufficient information to enable the
                                                    replaced, or modified. The costs and
                                                                                                            administrative office work associated                 poultry growers to make informed
                                                    benefits of the alternatives are discussed
                                                                                                            with review of contracts.                             business decisions about their future
                                                    in order below.
                                                                                                               Indirect costs include costs caused by             compensation and whether the
                                                    Regulatory Alternative 1: Status Quo                    changes in supply and/or demand                       compensation is sufficient to warrant
                                                       If § 201.214 is never finalized, there               resulting from the proposed rule.                     increasing capital investments, for
                                                    are no marginal costs and marginal                      Indirect costs also include potential                 example.
                                                    benefits as industry participants will not              efficiency losses due to potential                      Based on GIPSA’s experience
                                                    alter their conduct. From a cost                        changes in poultry grower ranking                     regulating live poultry dealers and
                                                    standpoint, this is the least cost                      systems.                                              reviewing their records, it developed
                                                    alternative compared to the other two                                                                         time estimates for the number of hours
                                                                                                            Regulatory Alternative 2: Direct Costs—               for company managers and information
                                                    alternatives. This alternative also has no              Administrative Costs
                                                    marginal benefits. Since there are no                                                                         technology (IT) staff to develop new
                                                                                                              To estimate administrative costs of                 projection sheets or review and revise
                                                    changes from the status quo under this
                                                                                                            the proposed rule, GIPSA relied on its                existing sheets for each type of poultry
                                                    regulatory alternative, it will serve as
                                                                                                            experience reviewing the operations and               growing contract that contains a poultry
                                                    the baseline against which to measure
                                                                                                            business records of live poultry dealers,             grower ranking system on which to base
                                                    the other two alternatives.
                                                                                                            poultry growing contracts, and other                  grower compensation. GIPSA estimates
                                                    Regulatory Alternative 2: The Preferred                 business records for compliance with                  that there are 10 individual contract
                                                    Alternative—Costs of the Proposed Rule                  the P&S Act and regulations. GIPSA also               types for each of the 133 live poultry
                                                      GIPSA expects that the direct costs of                considered the impact of each criterion               dealers who report to GIPSA. GIPSA
                                                    proposed § 201.214 would consist of the                 contained in § 201.214 on                             also developed time estimates for legal
                                                    costs of developing a consistency                       administrative costs.                                 staff to review the projection sheets and
                                                    management system, providing income                       Under § 201.214(a), the Secretary may               for the company to deliver the
                                                    projections to poultry growers, keeping                 consider whether a live poultry dealer                projection sheets to all current and
                                                    additional records, and reviewing and                   has provided sufficient information to a              prospective growers. GIPSA estimates
                                                    re-writing poultry growing contracts to                 poultry grower to enable the poultry                  that each projection sheet for each of the
                                                    ensure that poultry grower ranking                      grower to make informed business                      1,330 unique contract types would take
                                                    systems are not used in an unfair,                      decisions. Such information should                    eight hours of management and IT time
                                                    unjustly discriminatory, or deceptive                   include information necessary to                      to prepare, and two hours of attorney
                                                                                                            calculate the expected income from the                time to review and rewrite the contract.
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                                                    manner or in any way that gives an
                                                    undue or unreasonable preference,                       poultry growing arrangement. Current                  In addition, it will take 0.2 hours of
                                                    advantage, prejudice, or disadvantage.                  poultry growers who have been                         administrative time to print, and mail
                                                      Based on its expertise regulating the                 compensated for multiple flocks under                 the projection sheets and revised
                                                    poultry industry over several decades,                  a poultry grower ranking system may                   contracts for each of the 21,925
                                                    GIPSA does not expect the proposed                      already have sufficient information                   individual poultry production contracts
                                                                                                            because they have already established                 of which GIPSA is aware. GIPSA
                                                      26 See Section 6(a)(3)(C) of Executive Order          income patterns by participating in the               multiplied the estimated hours to
                                                    12866.                                                  poultry grower ranking system. The                    conduct these tasks by the average


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                                                    92732                Federal Register / Vol. 81, No. 244 / Tuesday, December 20, 2016 / Proposed Rules

                                                    hourly wages for managers and IT staff                  carbon dioxide concentration, and chick               distribution of inferior chicks. GIPSA
                                                    at $58/hour, attorneys at $83/hour, and                 hatching time in relation to being                    multiplied the estimated hours to
                                                    administrative assistants at $34/hour as                removed from the incubator.29                         conduct these tasks by the average
                                                    reported by the U.S. Bureau of Labor                       It is possible that the rotation of                hourly wages for managers and IT staff
                                                    Statistics in its Occupational                          chicks being hatched and delivered                    at $58/hour, attorneys at $83/hour, and
                                                    Employment Statistics.27 GIPSA                          could result in the same grower(s)                    administrative assistants at $34/hour as
                                                    estimates the development and delivery                  receiving inferior chicks on a consistent             reported by the U.S. Bureau of Labor
                                                    of projection sheets to cost the poultry                basis. In order to avoid the possibility of           Statistics in its Occupational
                                                    industry $0.99 million.                                 consistent placement of inferior chicks               Employment Statistics.30 GIPSA
                                                       The criterion in § 201.214(b) permits                with the same grower, even if                         estimates that if all 133 live poultry
                                                    the Secretary to consider whether a live                unintentional, live poultry dealers                   dealers who report operations to GIPSA
                                                    poultry dealer supplies inputs of                       would likely respond by designing and                 develop and implement a CMS, the cost
                                                    comparable quality and quantity to all                  implementing a CMS to identify and                    would total $5.46 million. This estimate
                                                    poultry growers in the ranking group                    evenly distribute inferior chicks.                    overstates the cost because some of the
                                                    and whether there is a pattern or                          GIPSA expects the same CMS to be                   133 live poultry dealers do not use a
                                                    practice of supplying inferior inputs to                used to demonstrate that a poultry                    poultry grower ranking system. Rather
                                                    one or more poultry growers in the                      grower ranking system is not used in an               than risk underestimating the potential
                                                    ranking group. Inputs include birds,                    unfair, unjustly discriminatory, or                   cost, GIPSA chose to include all 133 live
                                                    feed, medication, and any other input                   deceptive manner, or in a way that gives              poultry dealers in the calculations. We
                                                    supplied by the live poultry dealer.                    an undue or unreasonable preference or                have not estimated any capital costs
                                                       The U.S. Food and Drug                               advantage to any poultry grower or                    associated with the creation and
                                                    Administration (FDA) approves all                       subjects any poultry grower to an undue               implementation of a CMS, as we believe
                                                    medication that can be administered to                  or unreasonable prejudice or                          that there are none or existing
                                                    broilers that are grown for human                       disadvantage. Proposed § 201.214(c)                   equipment would be used; however, we
                                                    consumption.28 GIPSA believes that live                 would allow the Secretary to consider                 seek comment on the validity of this
                                                    poultry dealers would not alter                         whether a live poultry dealer provides                assumption and if commenters disagree
                                                    medication to such an extent that                       poultry growers with dissimilar                       with it, to provide estimates of the
                                                    inferior medicine is consistently                       production variables in the ranking                   capital costs.
                                                    supplied to a grower and that this                      group in a manner that affects a poultry                 Each live poultry dealer that uses a
                                                    criterion would not be costly to the                    grower’s compensation. Production                     poultry grower ranking system to
                                                    industry.                                               variables include, but are not limited to,            calculate grower compensation would
                                                       GIPSA also believes that feed                        the density at which the live poultry                 need to keep additional records to
                                                    provided by live poultry dealers would                  dealer places birds, the target slaughter             demonstrate that poultry grower ranking
                                                    be consistent across a group of growers                 weights of the birds, and bird ages that              systems are used in a fair manner after
                                                    and that this criterion would not be                    vary by more than seven days. The live                applying the criteria in proposed
                                                    costly to the industry. Feed is produced                production and broiler management                     § 201.214. Proposed § 201.214(d) allows
                                                    by live poultry dealers at a feedmill and               teams must work together to ensure that               the Secretary to consider whether a live
                                                    the same batch of feed is distributed to                medication, bird densities, target bird               poultry dealer has demonstrated a
                                                    growers until more feed is produced and                 sizes, and the timing of the harvesting               legitimate business justification for use
                                                    then that feed is distributed. The                      of flocks does not consistently affect                of a poultry grower ranking system in a
                                                    process of the production and                           grower rankings. Each live poultry                    manner that may otherwise be unfair,
                                                    distribution of feed ensures consistency                dealer, whether large or small, would                 unjustly discriminatory, or deceptive or
                                                    across the group of growers that receive                need to design and implement one CMS
                                                    the same batch of feed. Once a batch of                                                                       gives an undue or unreasonable
                                                                                                            to cover all of its breeding, hatching,               preference or advantage to any poultry
                                                    feed is produced, live poultry dealers                  feedmill, and broiler operations. This
                                                    truck it to growers according to                                                                              grower or subjects any poultry grower to
                                                                                                            CMS would ensure that growers are not                 an undue or unreasonable prejudice or
                                                    established routes and schedules. All                   treated inconsistently and that there is
                                                    growers on the same route should                                                                              disadvantage.
                                                                                                            not a pattern or practice of unfair,                     Based on GIPSA’s knowledge and
                                                    receive feed of similar quality.                        unjustly discriminatory, or deceptive
                                                       The chicks supplied by a live poultry                                                                      review of records kept by live poultry
                                                                                                            treatment or undue or unreasonable                    dealers, GIPSA believes that the live
                                                    dealer to a poultry grower have the
                                                                                                            preference, advantage, prejudice, or                  poultry dealers already keep very
                                                    potential to be inconsistent and GIPSA
                                                                                                            disadvantage.                                         detailed records regarding the
                                                    believes that live poultry dealers would                   GIPSA relied on its knowledge of the
                                                    have to take action to ensure a poultry                                                                       performance of each grower. The
                                                                                                            poultry industry to estimate the cost of              records include all information needed
                                                    grower is not consistently supplied with
                                                                                                            designing and implementing a CMS that                 to calculate feed conversion such as
                                                    inferior chicks. The factors that affect
                                                                                                            could be used by both large and small                 weights and quantities of inputs
                                                    chick quality include the age and breed
                                                                                                            live poultry dealers. GIPSA estimates                 provided, and all other data used to
                                                    of the breeder stock and the conditions
                                                                                                            that it would take 640 hours of                       determine grower performance and
                                                    at the hatchery. Hatchery conditions
                                                                                                            management and IT staff time to                       compensation. Based on GIPSA’s
                                                    affecting chick quality include, hatching
                                                                                                            develop a CMS. GIPSA estimates it                     experience reviewing these records and
                                                    egg quality, time of collection, egg
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                                                                                                            would take 8 hours per live poultry                   the business operations of live poultry
                                                    storage temperature and humidity,
                                                                                                            dealer for its legal team to review the               dealers, GIPSA estimates that live
                                                    incubation temperature, incubator
                                                                                                            CMS and 96 hours to train the breeding,               poultry dealers will spend an additional
                                                      27 All salary costs are based on mean annual 2015
                                                                                                            hatching, and broiler staff how to use                8 hours of time preparing records for
                                                    salary adjusted for benefit costs, set to an hourly     the CMS to ensure the uniform
                                                    basis. http://www.bls.gov/oes/. Accessed on August                                                              30 All salary costs are based on mean annual 2015
                                                    26, 2016.                                                 29 TheUniversity of Georgia Cooperative             salary adjusted for benefit costs, set to an hourly
                                                      28 http://www.accessdata.fda.gov/scripts/             Extension Service, ‘‘Hatchery Breeder Tip . . .       basis. http://www.bls.gov/oes/. Accessed on August
                                                    animaldrugsatfda/. Accessed on August 26, 2016.         Chick Quality: An Update,’’ May 2005.                 26, 2016.



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                                                                         Federal Register / Vol. 81, No. 244 / Tuesday, December 20, 2016 / Proposed Rules                                                           92733

                                                    each poultry contract in order to be able               attorneys at $83/hour and managers at                          Regulation 201.3(a) is broad in nature.
                                                    demonstrate that the poultry grower                     $58/hour. GIPSA then applied this cost                      Section 201.214 simply provides clarity
                                                    ranking system is used in a fair manner                 to the 21,925 poultry growing contracts                     and GIPSA believes that § 201.214 will
                                                    after applying the criteria in proposed                 that have been reported to GIPSA to                         not lead to litigation above that already
                                                    § 201.214. GIPSA has data on the                        arrive at the total contract review costs                   expected as a result of § 201.3(a). Thus,
                                                    number of production contracts between                  that would be incurred by poultry                           GIPSA considers the additional
                                                    poultry growers and live poultry                        growers. GIPSA then added together the                      litigation under § 201.3(a) to be the
                                                    dealers. GIPSA multiplied 8 hours of                    contract review costs by live poultry                       baseline litigation costs for § 201.214
                                                    time by the average hourly wages of                     dealers and by poultry growers to arrive                    and that the litigation costs for
                                                    $34/hour as reported by the U.S. Bureau                 at estimated contract review costs of                       § 201.3(a) already include the litigation
                                                    of Labor Statistics in its Occupational                 $4.96 million for the poultry industry.                     costs of § 201.214. Since those litigation
                                                    Employment Statistics 31 and then                          GIPSA then added together all of the                     costs have already been counted under
                                                    multiplied this total by the 21,925                     estimated types of administrative costs                     § 201.3(a), GIPSA does not allocate any
                                                    individual poultry growing contracts                    and the estimated first-year total                          additional litigation costs to § 201.214
                                                    reported to GIPSA by live poultry                       administrative costs appear in the                          and for the purposes of this RIA, the
                                                    dealers to arrive at $5.96 million for                  following table:                                            marginal litigation costs are zero.
                                                    additional record keeping costs for live
                                                    poultry dealers. This record keeping                      TABLE 4—FIRST-YEAR ADMINISTRA- Regulatory Alternative 2: Total Direct
                                                                                                                                             Costs of the Preferred Alternative
                                                    estimate includes keeping records to                      TIVE    COSTS  OF    PROPOSED
                                                    demonstrate legitimate business                           § 201.214                        The total first-year direct costs of
                                                    justifications for proposed § 201.214(d).                                                                         proposed § 201.214 would consist of
                                                       Given that proposed § 201.214 is a                         Administrative cost type               $ millions   administrative and litigation costs
                                                    new regulation, live poultry dealers                                                                              (which are equal to zero) from above
                                                                                                            Projection Sheet Costs .........                     0.99 and they are summarized in the
                                                    would need to review the contractual                    Develop Consistency Man-
                                                    language in their existing contracts with                                                                         following table.
                                                                                                              agement System ...............                     5.46
                                                    respect to poultry grower ranking                       Industry Record Keeping ......                       5.96
                                                    systems to ensure that they are used in                                                                                    TABLE 5—DIRECT COSTS OF
                                                                                                            Contract Review Costs .........                      4.96
                                                    a fair and non-preferential manner after                                                                                      PROPOSED § 201.214
                                                    applying the criteria in proposed                              Total Industry Adminis-
                                                                                                                     trative Cost .................             17.37               Cost type                    ($ millions)
                                                    § 201.214. GIPSA again relied on its
                                                    experience and developed time                                                                                       Admin Costs .........................            17.37
                                                    estimates for the number of hours for                     The first-year total administrative
                                                                                                                                                                        Litigation Costs .....................            0.00
                                                    attorneys and company managers to                       costs would be $17.37 million for the
                                                    review and revise verbal and written                    poultry industry. The two largest costs                          Total Direct Costs ..........               17.37
                                                                                                            would be industry record keeping and
                                                    production contracts and for staff to
                                                                                                            the development of CMSs, followed by                          GIPSA estimates that the direct costs
                                                    make changes, copy, and obtain signed
                                                                                                            record keeping and the costs of                             of proposed § 201.214 would be $17.37
                                                    copies of the contracts. For poultry
                                                                                                            developing projection sheets.                               million.
                                                    growing contracts, GIPSA estimates that
                                                    each of the 1,330 unique contract types                 A. Regulatory Alternative 2: Direct                         Regulatory Alternative 2: Indirect Costs
                                                    would take 2 hours of attorney time and                 Costs—Litigation Costs of the Preferred                     of the Preferred Alternative
                                                    2 hours of company management time                      Alternative
                                                                                                                                                                           As discussed previously, GIPSA does
                                                    to review and rewrite, and it would take                  Interim final regulation 201.3(a) will                    not expect proposed § 201.214 to result
                                                    2 hours of administrative time to review                already be in effect if and when                            in a decrease in the use of poultry
                                                    each of the 21,925 individual poultry                   § 201.214 becomes effective. GIPSA                          grower ranking systems, lower capital
                                                    production contracts. GIPSA multiplied                  expects that § 201.3(a) will result in                      formation, or decreases in efficiencies in
                                                    the estimated hours to conduct these                    additional litigation as this rule states                   the poultry industry. The regulation
                                                    administrative tasks by the average                     that certain conduct or action can                          simply establishes the criteria under
                                                    hourly wages for attorneys at $83/hour,                 violate sections 202(a) and/or 202(b) of                    which the Secretary may determine
                                                    managers at $58/hour, and                               the P&S Act without a harm or likely                        whether live poultry dealers are using
                                                    administrative assistants at $34/hour as                harm to competition in all cases.                           poultry grower ranking systems in an
                                                    reported by the U.S. Bureau of Labor                    Section 201.3(a) formalizes GIPSA’s                         unfair, unjustly discriminatory, or
                                                    Statistics in its Occupational                          longstanding position that, in some                         deceptive manner, or in a way that gives
                                                    Employment Statistics.32                                cases, violations of sections 202(a) and                    an undue or unreasonable preference or
                                                       GIPSA recognizes that contract review                202(b) can be proven without                                advantage to any poultry grower or
                                                    costs would also be borne by poultry                    demonstrating harm or likely harm to                        subjects any grower to an undue or
                                                    growers. GIPSA estimates the each                       competition. Section 201.214 provides                       unreasonable prejudice or disadvantage.
                                                    grower would spend 1 hour of time                       clarity to the industry by establishing                        The only indirect costs that GIPSA
                                                    reviewing a contract and would spend                    criteria the Secretary may consider in                      anticipates are the effects of the increase
                                                    1 hour of their attorney’s time to review               determining whether a live poultry                          in industry costs from the direct
                                                    the contract. GIPSA multiplied 1 hour of                dealer has used a poultry grower                            administrative costs on supply and
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                                                    grower time and 1 hour of attorney time                 ranking system to compensate poultry                        demand, and the resulting quantity and
                                                    to conduct the production contract                      growers in an unfair, unjustly                              price impacts on the retail market for
                                                    review by the average hourly wages for                  discriminatory, or deceptive manner, or                     chicken and the related input market for
                                                                                                            in a way that gives an undue or                             broilers.
                                                      31 Ibid.
                                                                                                            unreasonable preference or advantage to                        GIPSA modeled the impact of the
                                                      32 All salary costs are based on mean annual 2015

                                                    salary adjusted for benefit costs, set to an hourly
                                                                                                            any poultry grower or subjects any                          increase in total industry costs resulting
                                                    basis. http://www.bls.gov/oes/. Accessed on August      poultry grower to an undue or                               from the direct costs of proposed
                                                    26, 2016.                                               unreasonable prejudice or disadvantage.                     § 201.214 in a Marketing Margins Model


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                                                    92734                Federal Register / Vol. 81, No. 244 / Tuesday, December 20, 2016 / Proposed Rules

                                                    (MMM) framework.33 The MMM allows                       therefore, GIPSA concludes that the                      To arrive at the estimated 10-year
                                                    for the estimation of changes in                        indirect costs of proposed § 201.214 are              costs of proposed § 201.214, GIPSA
                                                    consumer and producer surplus and the                   zero.                                                 estimates that contracts would expire at
                                                    quantification of deadweight loss or                                                                          a steady rate. Based on its expertise,
                                                                                                            Regulatory Alternative 2: Total Costs of
                                                    gain caused by changes in supply and                                                                          GIPSA believes that 20 percent of
                                                                                                            the Preferred Alternative
                                                    demand conditions in the retail market                                                                        contracts would expire on a yearly basis
                                                    for chicken as well as the input market                    GIPSA added all direct costs to the                and thus, in the first five years, 20
                                                    for poultry growing services.                           indirect costs, which are equal to zero,              percent of all contracts would expire
                                                       GIPSA modeled the increases in                       to arrive at the estimated total first-year           and need to be renewed each year or
                                                    industry costs resulting from higher                    costs of proposed § 201.214. The total                new production contracts would be put
                                                    direct costs as an inward (or upward)                   costs are summarized in the following                 in place. Thus in years 2 through year
                                                    shift in the supply curve for chicken.                  table.                                                5, contract review costs would be 20
                                                    This has the effect of increasing the                                                                         percent of the costs of review in the first
                                                    equilibrium prices and reducing the                             TABLE 6—TOTAL COSTS OF                        year because the costs of reviewing and
                                                    equilibrium quantity traded. This also                             PROPOSED § 201.214                         revising contracts would only apply to
                                                    has the effect of reducing the derived                                                                        the 20 percent of contracts that are
                                                    demand for poultry growing services,                               Cost type                   ($ millions)   expiring or are new contracts each year.
                                                    which causes a reduction in the
                                                    equilibrium prices and quantity traded.                 Admin Costs .........................           17.37 Based on GIPSA’s expertise, GIPSA also
                                                                                                            Litigation Costs .....................           0.00 estimates that in years 2 through year 5,
                                                    Established economic theory suggests                    Total Direct Costs .................            17.37 20 percent of all projection sheets
                                                    that these shifts in the supply curve and               Total Indirect Costs ..............              0.00 would require updating each year, the
                                                    derived demand curve and the resulting                                                                        cost of operating and updating CMSs
                                                    price and quantity impacts will result in                    Total Costs ....................           17.37 would be 20 percent of first-year
                                                    a reduction in social welfare through a                                                                       development costs, and that record
                                                    deadweight loss.                                           GIPSA estimates that the total costs of keeping costs would be 20 percent of
                                                       To estimate the output and input                     proposed § 201.214 to be $17.37 million the first-year cost as companies become
                                                    supply and demand curves for the                        for the poultry industry in the first full            more efficient in record keeping and
                                                    MMM, GIPSA constructed linear supply                    year of implementation                                learn which records are required. Based
                                                    and demand curves around equilibrium                                                                          on its expertise, GIPSA estimates that in
                                                                                                            Regulatory Alternative 2: 10-Year Total
                                                    price and quantity points using price                                                                         the second 5 years, the direct
                                                                                                            Costs of the Preferred Alternative
                                                    elasticities of supply and demand from                                                                        administrative costs of revising
                                                    the USDA’s Economic Research                               To arrive at the estimated 10-year
                                                                                                            costs of proposed § 201.214, GIPSA                    contracts, projection sheets, CMS
                                                    Service.34
                                                                                                            expects the costs to be constant for the              operation, and record keeping would
                                                       GIPSA then shifted the supply curve
                                                                                                            first 5 years while courts are setting                decrease by 50 percent per year as the
                                                    for chicken up by the amount of the
                                                    increase in total costs for the poultry                 precedents for the interpretation of                  courts establish precedents, contracts
                                                    industry from Table 5 above. GIPSA                      proposed § 201.214 if indeed it is                    would contain standard language, and
                                                    calculated the new equilibrium price                    finalized. GIPSA expects that case law                companies would become more efficient
                                                    and quantity traded of chicken. GIPSA                   with respect to proposed § 201.214                    at ensuring poultry grower ranking
                                                    also calculated the new equilibrium                     would be settled after 5 years, and by                systems are used in a fair manner after
                                                    price and quantity in the poultry                       then, industry participants would likely applying the criteria in proposed
                                                    growing services market resulting from                  know how GIPSA would enforce the                      § 201.214. The total 10-year costs of
                                                    the decreases in derived demand for                     proposed regulation and how courts                    proposed § 201.214 appear in the table
                                                    growing services. GIPSA calculated the                  would interpret the proposed regulation below.
                                                    resulting social welfare changes in the                 if finalized. The effect of courts
                                                    input and output markets.                               establishing precedents is that                       TABLE 7—TEN-YEAR TOTAL COSTS OF
                                                       The calculation of the price impact                  administrative costs would likely                                  PROPOSED § 202.214
                                                    from the increase in poultry industry                   decline after 5 years.
                                                    costs from proposed § 201.214 would                        Once courts establish precedents in                                                            Total direct
                                                                                                                                                                                 Year
                                                                                                            case law, GIPSA expects the direct                                                                ($ millions)
                                                    have in a price increase of
                                                    approximately two-hundredths of a cent                  administrative costs of reviewing and                 2018 36 ..................................           17.37
                                                    in the retail price of chicken.35 This is               revising contracts and developing                     2019 ......................................           3.47
                                                    because the increase in total industry                  projection sheets would decrease                      2020 ......................................           3.47
                                                    costs is very small in relation to overall              rapidly as contracts would already                    2021 ......................................           3.47
                                                    industry costs. The result is that the                  contain any language modifications                    2022 ......................................           3.47
                                                    resulting deadweight losses from the                    necessitated by implementation of the                 2023 ......................................           1.74
                                                    increases in total industry costs is                    proposed rule, and projection sheets                  2024 ......................................           0.87
                                                                                                            would already have been developed for                 2025 ......................................           0.43
                                                    indistinguishable from zero and
                                                                                                                                                                  2026 ......................................           0.22
                                                                                                            most contracts. GIPSA also expects that
                                                                                                                                                                  2027 ......................................           0.11
                                                      33 The framework is explained in detail in Tomek,     the direct costs of record keeping and
                                                    W.G. and K.L. Robinson ‘‘Agricultural Product           operating CMSs would decrease rapidly
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                                                                                                                                                                        Totals .............................           34.64
                                                    Prices,’’ third edition, 1990, Cornell University
                                                    Press.
                                                                                                            as courts set precedents on which
                                                      34 ERS Price Elasticities: http://www.ers.usda.gov/   records would be required and how                        Based on the analysis, GIPSA expects
                                                    data-products/commodity-and-food-elasticities/          detailed a CMS must be, and as                        the 10-year total costs of proposed
                                                    demand-elasticities-from-literature.aspx. Accessed      companies become more efficient in                    § 201.214 would be $34.64 million.
                                                    on August 26, 2016.                                     ensuring that poultry grower ranking
                                                      35 The $17.37 million increase in total industry

                                                    costs from proposed § 201.214 is only 0.04 percent
                                                                                                            systems are used in a fair manner after                 36 GIPSA uses 2018 as the date for the proposed

                                                    of total poultry industry costs of approximately $40    applying the criteria in proposed                     rule to be in effect for analytical purposes only. The
                                                    billion.                                                § 201.214.                                            date the proposed rule becomes final is not known.



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                                                                         Federal Register / Vol. 81, No. 244 / Tuesday, December 20, 2016 / Proposed Rules                                                   92735

                                                    Regulatory Alternative 2: Net Present                         TABLE 9—ANNUALIZED COSTS OF                               would require showing of a harm to
                                                    Value of Ten-Year Total Costs of the                               PROPOSED § 201.214                                   competition for § 201.214 violations, the
                                                    Preferred Alternative                                                                                                   regulated entities may still expect
                                                                                                                        Discount rate                        ($ millions)   litigation as private parties test the
                                                       The total costs of proposed § 201.214                                                                                courts application of § 201.3 as it relates
                                                    in the table above show that the costs                     3 Percent ..............................                3.77 to § 201.214 violations. To reduce this
                                                    are highest in the first year, decline to                  7 Percent ..............................                4.18 threat of litigation, regulated entities
                                                    a constant lower level over the next 4                                                                                  may still incur the administrative costs
                                                    years, and then gradually decrease again                      GIPSA expects that the annualized                         detailed above. Should § 201.214
                                                                                                               costs of § 201.214 would be $3.77                            become finalized and courts still require
                                                    over the subsequent 5 years. Costs to be
                                                                                                               million at a three percent discount rate                     a showing of harm or potential harm to
                                                    incurred in the future are less expensive
                                                                                                               and $4.18 million at a seven percent                         competition, regulated entities may still
                                                    than the same costs to be incurred                         discount rate.
                                                    today. This is because the money that is                                                                                voluntarily undertake the adjustment
                                                    used to pay the costs in the future can                    Impacts on Costs of Interim Final                            costs detailed above.
                                                    be invested today and earn interest until                  § 201.3(a)                                                      GIPSA expects proposed § 201.214 to
                                                                                                                                                                            reduce the costs of implementing
                                                    the time period in which the cost is                          Concurrent with proposing § 201.214, § 201.3 by providing more clarity in the
                                                    incurred. After the cost has been                          GIPSA is issuing an interim final                            appropriate application of sections
                                                    incurred, the interest earned would still version of § 201.3(a). Section 201.3(a)                                       202(a) and (b) of the P&S Act as they
                                                    be available.                                              states that conduct or action can be                         apply to poultry grower ranking
                                                       To account for the time value of                        found to violate sections 202(a) and/or                      systems. Section 201.214 provides
                                                    money, the costs of the regulations to be 202(b) of the P&S Act without a finding                                       clarity to the industry by establishing
                                                    incurred in the future are discounted                      of harm or likely harm to competition in criteria the Secretary may consider in
                                                                                                               all cases. As a stand-alone regulation,                      determining whether a live poultry
                                                    back to today’s dollars using a discount
                                                                                                               § 201.3(a) formalizes GIPSA’s                                dealer has used a poultry grower
                                                    rate. The sum of all costs discounted
                                                                                                               longstanding position that, in some                          ranking system to compensate poultry
                                                    back to the present is called the net                      cases, violations of sections 202(a) and
                                                    present value (NPV) of total costs.                                                                                     growers in an unfair, unjustly
                                                                                                               202(b) can be proven without                                 discriminatory, or deceptive manner, or
                                                    GIPSA relied on both a three percent                       demonstrating harm or likely harm to
                                                    and seven percent discount rate as                                                                                      in a way that gives an undue or
                                                                                                               competition.                                                 unreasonable preference or advantage to
                                                    discussed in Circular A–4. GIPSA         37
                                                                                                                  In its Regulatory Impact Analysis,                        any poultry grower or subjects any
                                                    measured all costs using constant                          GIPSA estimated the annualized costs of poultry grower to an undue or
                                                    dollars.                                                   § 201.3(a) would range from $6.87                            unreasonable prejudice or disadvantage.
                                                       GIPSA calculated the NPV of the ten-                    million to $96.01 million at a three
                                                    year total costs of the proposed                           percent discount rate and from $7.12                         Regulatory Alternative 2: Benefits of the
                                                    regulation using both a three percent                      million   to $98.60      million         at a  seven         Preferred Alternative
                                                    and seven percent discount rate and the                    percent   discount       rate.    The     range   of            GIPSA was unable to quantify all the
                                                    NPVs appear in the following table.                        potential costs is broad and GIPSA                           benefits of proposed § 201.214.
                                                                                                               relied on its expertise to arrive at a point However, there are a number of
                                                     TABLE 8—NPV OF TEN-YEAR TOTAL estimate of expected annualized costs.                                                   important qualitative benefits of
                                                                                                               GIPSA expects the cattle, hog, and                           proposed § 201.214 that merit
                                                         COSTS OF PROPOSED § 201.214                           poultry industries to primarily take a                       discussion. Proposed § 201.214 contains
                                                                                                               ‘‘wait and see’’ approach to how courts                      several provisions that GIPSA expects
                                                               Discount rate                    ($ millions)
                                                                                                               will interpret § 201.3(a) and only                           would improve efficiencies and reduce
                                                    3 Percent ..............................             32.16 slightly adjust its use of AMAs, and                         market failures. For regulations to
                                                    7 Percent ..............................             29.36 incentive or performance-based                               improve efficiencies for market
                                                                                                               payment systems. GIPSA estimates that                        participants and generate benefits for
                                                                                                               the annualized costs of § 201.3(a) at the                    consumers and producers, they must
                                                       GIPSA expects the NPV of the 10-year point estimate will be $51.44 million at
                                                                                                                                                                            increase the amount of relevant
                                                    total costs of § 201.214 will be $32.16                    a three percent discount rate and $52.86 information to market participants,
                                                    million at a three percent discount rate                   million at a seven percent discount rate                     reduce information asymmetries, protect
                                                    and $29.36 million at a seven percent                      based on an anticipated ‘‘wait and see’’                     private property rights, or foster
                                                    discount rate.                                             approach by the cattle, hog, and poultry competition.
                                                    Regulatory Alternative 2: Annualized                       industries.                                                     Proposed § 201.214(a) would reduce
                                                    Costs of the Preferred Alternative                            GIPSA recognizes that courts, after the information asymmetries and result in
                                                                                                               implementation of a finalized § 201.3(a), poultry growers making informed
                                                       GIPSA then annualized the NPV of                        may opt to continue to apply earlier                         business decisions such as whether to
                                                    the 10-year total costs (referred to as                    precedents of requiring the showing of                       enter the industry and in which capital
                                                    annualized costs) of proposed § 201.214 harm or potential harm to competition                                           improvements to invest. Growers having
                                                    using both a three percent and seven                       in section 202(a) and 202(b) cases. This                     more complete information would result
                                                                                                               has the potential to affect the costs of                     in more efficient levels of capital in the
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                                                    percent discount rate as required by
                                                    Circular A–4 and the results appear in                     § 201.214    and   201.211         should       they         growing industry than with less
                                                    the following table.38                                     become finalized. GIPSA expects that                         information. Less information may lead
                                                                                                               even if courts continue to require                           to too much or too little capital. More
                                                                                                               showing of harm or potential harm to                         complete information in the growing
                                                      37 https://www.whitehouse.gov/sites/default/files/       competition in section 202(a) and 202(b) industry would allow live poultry
                                                    omb/assets/regulatory_matters_pdf/a-4.pdf.                 cases, that firms would likely still incur dealers to send price signals to growers
                                                    Accessed on August 26, 2016.                               costs of complying with § 201.214. Even about levels of capital they desire. For
                                                      38 Ibid.                                                 if regulated entities expect that courts                     example, if a live poultry dealer desires


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                                                    92736                Federal Register / Vol. 81, No. 244 / Tuesday, December 20, 2016 / Proposed Rules

                                                    its birds be grown with a more capital-                 poultry grower ranking system that                    giving of an undue or unreasonable
                                                    intensive housing type, it can increase                 would otherwise violate the P&S Act.                  preference, advantage, prejudice or
                                                    its base payment rate in a grower                       This is a benefit for live poultry dealers            disadvantage under section 202(b) of the
                                                    ranking system for that particular                      as it provides a level of protection                  P&S Act.
                                                    housing type and provide projection                     against potentially frivolous litigation.                The sum of all individual harm is
                                                    sheets to growers so they can assess                       Another important qualitative benefit              likely to increase total industry costs of
                                                    whether to upgrade. Live poultry                        of proposed § 201.214 is the increased                producing poultry due to an inefficient
                                                    dealers would have to increase the base                 ability for the enforcement of the P&S                allocation of resources. The cost of all
                                                    compensation to a high enough level to                  Act for use of poultry grower ranking                 unfair, unjustly discriminatory, or
                                                    spur the additional capital investment                  systems in a manner that does not result              deceptive practices, or undue or
                                                    in upgrades. Similarly, too little                      in a harm or likelihood of harm to                    unreasonable preferences or advantages
                                                    compensation may result in under                        competition. This occurs through                      to any poultry grower or undue or
                                                    investment in capital, which is also                    § 201.3(a), which states that conduct can             unreasonable prejudices or
                                                    inefficient.                                            be found to violate sections 202(a) and/              disadvantages are reflected in higher
                                                       Proposed § 201.214(b) would                          or 202(b) of the P&S Act without a                    costs of producing poultry, with some
                                                    encourage live poultry dealers to supply                finding of harm or likely harm to                     portion of these costs passed along to
                                                    inputs of more consistent quantity and                  competition and more specifically                     consumers in the form of higher prices.
                                                    quality to all growers. Thus, inferior                  through § 201.210(b)(10) which clarifies                 GIPSA expects proposed § 201.214
                                                    chicks, which are more costly to grow,                  that absent demonstration of a                        coupled with §§ 201.3(a) and
                                                    would likely be distributed more                        legitimate business justification, failing            201.210(b)(10) to increase enforcement
                                                    uniformly across growers. This would                    to use a poultry grower ranking system                actions against live poultry dealers for
                                                    facilitate a level playing field and foster             in a fair manner after applying the                   use of poultry grower ranking systems
                                                    fair competition in poultry grower                      criteria in § 201.214 is unfair, unjustly             in a manner that violates sections 202(a)
                                                    ranking systems. If proposed § 201.214                  discriminatory, or deceptive and a                    and/or 202(b) when the use of the
                                                    is finalized and becomes effective,                     violation of section 202(a) of the P&S                poultry grower ranking system does not
                                                    growers would be compensated for their                  Act regardless of whether it harms or is              harm or is not likely to harm to
                                                    performance based more accurately on                    likely to harm competition.                           competition. Several appellate courts
                                                    their skill and less so on the quality of                  A simple example is a live poultry                 have disagreed with USDA’s
                                                    inputs provided. The more efficient                     dealer consistently supplying inferior                interpretation of the P&S Act that harm
                                                    growers would receive more                              chicks to a particular grower. The                    or likely harm to competition is not
                                                    compensation in poultry grower ranking                  grower is harmed by this conduct                      necessary in all instances to prove a
                                                    systems, which sends a signal to expand                 because the grower consistently under-                violation of sections 202(a) or 202(b). In
                                                    their offering of growing services. Less                performs in the poultry grower ranking                some cases in which the United States
                                                    efficient growers would earn less, which                system and receives lower                             was not a party, these courts have
                                                    sends a signal to reduce their offering of              compensation than if the grower had                   concluded that plaintiffs could not
                                                    growing services or, at the extreme, to                 been provided higher quality chicks.                  prove their claims under section 202(a)
                                                    exit the industry. The result is lower                  This can be considered an unfair and                  and/or (b) without proving harm to
                                                    costs to the industry as poultry grower                 deceptive practice under section 202(a)               competition or likely harm to
                                                    ranking systems would incentivize the                   and/or as subjecting the grower to an                 competition. One reason the courts gave
                                                    more efficient growers to expand and                    unfair disadvantage under section                     for declining to defer to USDA’s
                                                    less efficient growers to contract or exit              202(b). The impact of this harm to the                interpretation of the statute is that
                                                    the industry.                                           grower is very small when compared to                 USDA had not previously formalized its
                                                       Proposed § 201.214(c) would also                     the entire industry and there is no harm              interpretation in a regulation.
                                                    provide a similar benefit to the industry.              to competition from this one instance.                   Section 201.3 addresses that issue and
                                                    Under this section, the Secretary may                   Because there is no harm or likely harm               §§ 201.214 and 201.210(b)(10) provide
                                                    consider whether a live poultry dealer                  to competition, courts have been                      clarity regarding the circumstances
                                                    includes poultry growers provided with                  reluctant to find a violation of section              under which use of a poultry grower
                                                    dissimilar production variables in the                  202(a) or (b) of the P&S Act in such a                ranking system, absent demonstration of
                                                    ranking group in a manner that affects                  situation, despite the harm suffered by               a legitimate business justification,
                                                    a poultry grower’s compensation. The                    the individual poultry grower.                        would constitute an unfair, unjustly
                                                    live poultry dealer would be expected to                   However, if similar, though unrelated,             discriminatory, or deceptive practice or
                                                    assure that growers are treated                         harm is experienced by a large number                 device under section 202(a) of the P&S
                                                    consistently as compared to other                       of growers, the cumulative effect does                Act or the giving of an undue or
                                                    growers in the settlement group. This                   result in a harm to competition. The                  unreasonable preference, advantage,
                                                    would allow growers to compete in                       individual harm is inconsequential to                 prejudice or disadvantage under section
                                                    poultry grower ranking systems on their                 the industry, but the sum total of all                202(b) of the P&S Act. GIPSA expects
                                                    skill level and not be disadvantaged by                 individual harm has the potential to be               the result would be additional
                                                    factors outside of their control. The                   quite significant when compared to the                enforcement actions successfully
                                                    result, again, is lower costs to the                    industry and therefore, courts have                   litigated, which will serve as a deterrent
                                                    industry as the poultry grower ranking                  found harm or likely harm to                          to using a poultry grower ranking
                                                    system would likely incentivize the                     competition in such a situation. The                  system in a manner that violates
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                                                    more efficient growers to expand and                    regulations in this proposed rule, in                 sections 202(a) or (b) of the P&S Act.
                                                    the less efficient growers to reduce                    conjunction with § 201.3(a), clarify that             Successful deterrence would likely
                                                    operations or exit the industry.                        consistently supplying inferior chicks,               result in lower overall costs throughout
                                                       Proposed § 201.214(d) would benefit                  absent demonstration of a legitimate                  the entire production and marketing
                                                    the industry by allowing the Secretary                  business justification, would constitute              complex of all poultry and chicken.
                                                    to consider whether a live poultry                      unfair, unjustly discriminatory, or                      Benefits to the industry and the
                                                    dealer has demonstrated a legitimate                    deceptive practices or devices under                  market also arise from establishing
                                                    business justification for use of a                     section 202(a) of the P&S Act or the                  parity of negotiating power between live


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                                                                                Federal Register / Vol. 81, No. 244 / Tuesday, December 20, 2016 / Proposed Rules                                                                                          92737

                                                    poultry dealers and poultry growers by                                      protection against potentially frivolous                                           The data in the table above show that
                                                    reducing the ability to abuse market                                        litigation. Thus, proposed § 201.214                                            65.2 percent of broiler production
                                                    power with the resulting deadweight                                         would likely increase efficiency, lower                                         contracts have a duration of 12 months
                                                    losses.39 Establishing parity of                                            costs, and reduce market failures in the                                        or less and 84.4 percent have a duration
                                                    negotiating power in contracts promotes                                     poultry industry. These benefits would                                          of 60 months or less. Only 15.64 percent
                                                    fairness and equity and is consistent                                       accrue to all segments of the poultry                                           of broiler production contracts are
                                                    with GIPSA’s mission ‘‘[T]o protect fair                                    value chain, and ultimately consumers.                                          longer than 60 months in duration.
                                                    trade practices, financial integrity, and
                                                    competitive markets for livestock, meats                                    Regulatory Alternative 3: Contract                                                 For the first year of the regulation,
                                                    and poultry.’’ 40                                                           Duration—Phased Implementation                                                  GIPSA multiplied the costs of § 201.214
                                                                                                                                   GIPSA considered a third regulatory                                          by 65.20 percent. The one exception is
                                                    Regulatory Alternative 2: Cost-Benefit                                                                                                                      the cost of the development of CMSs.
                                                                                                                                alternative of phased implementation.
                                                    Summary of the Preferred Alternative                                                                                                                        GIPSA’s experience reviewing poultry
                                                                                                                                Under this third alternative, proposed
                                                       GIPSA expects the annualized costs of                                    § 201.214 would only apply to poultry                                           growing contracts suggests that most
                                                    § 201.214 will be $3.77 million at a                                        growing contracts when they expire, are                                         live poultry dealers have some contracts
                                                    three percent discount rate and $4.18                                       altered, or new contracts are put in                                            that are of a short-term duration.
                                                    million at a seven percent discount rate.                                   place. Consider for example, a poultry                                          Therefore, GIPSA estimates that all live
                                                    GIPSA was unable to quantify the                                            growing contract with 3 years remaining                                         poultry dealers would have to develop
                                                    benefits of the regulations, but                                            in the contract when the regulations                                            a CMS in the first year after the
                                                    explained numerous qualitative benefits                                     become effective. Proposed § 201.214                                            implementation of the regulation.
                                                    derived from increased information and                                      would not be applicable to this contract,                                       GIPSA allocates 100 percent of CMS
                                                    reduced information asymmetries. The                                        under phased implementation, until the                                          development costs in the first year
                                                    regulation contains several provisions                                      contract expires after 3 years and is                                           under the phased implementation
                                                    that GIPSA expects will: (1) Improve                                        either modified or replaced.
                                                    efficiencies in the formation of capital                                                                                                                    alternative. All other direct
                                                    in the poultry growing industry; and (2)                                    Regulatory Alternative 3: Cost                                                  administrative costs are multiplied by
                                                    lower costs to the industry as grower                                       Estimation of Phased Implementation                                             65.20 percent in the first year.
                                                    ranking systems will incentivize the                                          GIPSA estimated the costs of phased                                              For years 2 through 5, GIPSA
                                                    more efficient growers to expand and                                        implementation by multiplying the                                               followed the same procedure and
                                                    less efficient growers to reduce                                            majority of the ten-year total costs of the                                     adjusted total industry costs by 84.4
                                                    operations or exit the industry. Another                                    preferred alternative (Table 7) for each                                        percent, the number of contracts that are
                                                    benefit of proposed § 201.214 is the                                        year of the first 10 years the rule would                                       5 years or less in duration. For years 6
                                                    deterrent effect of increased                                               be in effect by the percentage of                                               through 10, GIPSA applied 100 percent
                                                    enforcement of the P&S Act for                                              contracts expiring or altered in the same                                       of the preferred alternative costs to
                                                    violations of section 202(a) or (b). This,                                  year. The data on contract lengths for                                          reflect the full phase in of costs.
                                                    in turn, would reduce instances of                                          broiler production appear in the table
                                                    unfair, unjustly discriminatory, or                                                                                                                            The following tables show the 10-year
                                                                                                                                below.
                                                    deceptive practices or devices and                                                                                                                          total costs of the phased implementation
                                                    undue or unreasonable preferences,                                                                                                                          alternative. The 10-year total costs for
                                                                                                                                      TABLE 10—PRODUCTION AND
                                                    advantages, prejudices, or disadvantages                                                                                                                    each year of the preferred alternative
                                                                                                                                    MARKETING CONTRACT DURATIONS
                                                    and increased efficiencies in the                                                                                                                           (Table 7) are also shown for
                                                    marketplace. At the same time, allowing                                                                                             Broiler                 convenience.
                                                    the Secretary to consider legitimate                                                  Contract duration                          production 41
                                                    business justifications for use of a                                                                                                 (%)
                                                    poultry grower ranking system in a
                                                    manner that might otherwise be seen as                                      Short Term < = 12 months ...                                       65.20
                                                                                                                                Medium Term 13–60 months                                           19.20
                                                    a violation of section 202(a) or (b) of the                                 Long Term > 60 months .......                                      15.60
                                                    P&S Act would provide a level of

                                                                                                      TABLE 11—PHASED IMPLEMENTATION TOTAL COSTS OF § 201.214
                                                                                                                                                                                                                                    Preferred           Phased
                                                                                                                                  Year                                                                                             alternative      implementation
                                                                                                                                                                                                                                   ($ millions)       ($ millions)

                                                    2018   .................................................................................................................................................................                17.37            13.23
                                                    2019   .................................................................................................................................................................                 3.47             2.93
                                                    2020   .................................................................................................................................................................                 3.47             2.93
                                                    2021   .................................................................................................................................................................                 3.47             2.93
                                                    2022   .................................................................................................................................................................                 3.47             2.93
                                                    2023   .................................................................................................................................................................                 1.74             1.74
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                                                    2024   .................................................................................................................................................................                 0.87             0.87
                                                    2025   .................................................................................................................................................................                 0.43             0.43
                                                    2026   .................................................................................................................................................................                 0.22             0.22

                                                      39 MacDonald, J. and N. Key. ‘‘Market Power in                            Discusses evidence for the effect of concentration                              Agricultural Contract Grower Protection
                                                    Poultry Production Contracting? Evidence from a                             on grower compensation.                                                         Legislation,’’ Choices 30(3): 1–6.
                                                    Farm Survey.’’ Journal of Agricultural and Applied                            40 See additional discussion in Steven Y. Wu and                                41 USDA’s Economic Research Service

                                                    Economics. 44(4) (November 2012): 477–490.                                  James MacDonald (2015) ‘‘Economics of                                           Agricultural Resource Management Survey (ARMS)
                                                                                                                                                                                                                2011.



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                                                    92738                        Federal Register / Vol. 81, No. 244 / Tuesday, December 20, 2016 / Proposed Rules

                                                                                           TABLE 11—PHASED IMPLEMENTATION TOTAL COSTS OF § 201.214—Continued
                                                                                                                                                                                                                                  Preferred                  Phased
                                                                                                                                   Year                                                                                          alternative             implementation
                                                                                                                                                                                                                                 ($ millions)              ($ millions)

                                                    2027 .................................................................................................................................................................                    0.11                   0.11

                                                          Totals ........................................................................................................................................................                    34.64                  28.32



                                                      GIPSA estimates that the first-year                                          GIPSA expects the annualized costs of                                      subtracting the annualized costs of
                                                    total costs of § 201.214 under the phased                                    § 201.214 under the phased                                                   phased implementation from the
                                                    implementation alternative would be                                          implementation option to be $3.07                                            preferred alternative and the results
                                                    $13.23 million and the 10-year total                                         million at a three percent discount rate                                     appear in the following table.
                                                    costs would be $28.32 million. As the                                        and $3.38 million at a seven percent
                                                    table shows, the costs in the first 5 years                                  discount rate.                                                                        TABLE 14—DIFFERENCE IN
                                                    are lower under the phased                                                                                                                                     ANNUALIZED COSTS OF PROPOSED
                                                                                                                                 Regulatory Alternative 3: Benefits of the
                                                    implementation option than under the                                                                                                                           § 201.214 BETWEEN THE PRE-
                                                                                                                                 Phased Implementation Alternative
                                                    preferred alternative because regulated
                                                                                                                                                                                                                   FERRED ALTERNATIVE AND THE
                                                    entities with contracts longer than 1         The benefits of phased
                                                    year are not covered until the contracts    implementation are identical to the                                                                                PHASED IMPLEMENTATION ALTER-
                                                    expire, are modified, or replaced.          benefits of the preferred alternative with                                                                         NATIVE
                                                                                                the exception of when the benefits will
                                                    Regulatory Alternative 3: NPV of 10-                                                                                                                                     Discount rate                  ($ millions)
                                                                                                be received and the amount of the
                                                    Year Total Costs of Phased
                                                                                                benefits. Like the costs, the benefits will
                                                    Implementation                                                                                                                                            3 Percent ..............................               0.70
                                                                                                be received only when contracts expire,
                                                                                                                                                                                                              7 Percent ..............................               0.80
                                                       GIPSA calculated the NPV of the 10-      are modified, or new contracts are put
                                                    year total costs of proposed § 201.214      in place. Moreover, benefits to be
                                                                                                received in the future are worth less                                                                            The annualized costs of the phased
                                                    under phased implementation using
                                                    both a three percent and seven percent      than benefits received today. The                                                                             implementation alternative is $0.70
                                                    discount rate as required by Circular A– benefits will be received in the same                                                                            million less expensive using a three
                                                    4. The NPVs are shown in the following proportion of the total costs and are                                                                              percent discount rate and $0.80 million
                                                    table.                                      based on contract durations. The                                                                              less expensive using a seven percent
                                                                                                benefits of phased implementation are                                                                         discount rate. As is the case with costs,
                                                        TABLE 12—NPVS OF TEN-YEAR               less than under the preferred alternative                                                                     the benefits of the preferred alternative
                                                       TOTAL COSTS OF PROPOSED because the full benefits will not be                                                                                          will be highest for the preferred
                                                       § 201.214—PHASED IMPLEMENTA- received until all contracts have                                                                                         alternative because the full benefits will
                                                                                                expired, been modified, or replaced by                                                                        be received immediately and not when
                                                       TION
                                                                                                new contracts. The full benefits of                                                                           contracts have expired, been altered, or
                                                            Discount rate          ($ millions)
                                                                                                phased implementation will be received                                                                        replaced by new contracts as is the case
                                                                                                beginning in year 6.                                                                                          under the phased implementation
                                                    3 Percent ..............................                        26.18        Regulatory Alternative 3: Cost-Benefit                                       alternative.
                                                    7 Percent ..............................                        23.77
                                                                                                                                 Summary of Phased Implementation                                                Though the phased implementation
                                                                                                                                    GIPSA expects the annualized costs of                                     alternative would save between $0.70
                                                      GIPSA expects the NPV of the 10-year                                                                                                                    million and $0.80 million on an
                                                    total costs of § 201.214 under the phased                                    § 201.214 under the phased
                                                                                                                                 implementation option to be $3.07                                            annualized basis, this alternative would
                                                    implementation option to be $26.18
                                                                                                                                 million at a three percent discount rate                                     deny the protections offered by
                                                    million at a three percent discount rate
                                                                                                                                 and $3.38 million at a seven percent                                         proposed § 201.214 to a substantial
                                                    and $23.77 million at a seven percent
                                                                                                                                 discount rate. The benefits will be                                          percentage of poultry growers for five or
                                                    discount rate.
                                                                                                                                 received in the same proportion as total                                     more years based on the length of their
                                                    Regulatory Alternative 3: Annualized                                         costs and are based on contract                                              production contracts. As the data in
                                                    Costs of Phased Implementation                                               durations. The benefits of the phased                                        Table 10 show, 15.6 percent of poultry
                                                                                                                                 implementation alternative are less than                                     growers have contracts with durations
                                                      GIPSA then annualized the costs of                                         under the preferred alternative because
                                                    § 201.214 using both a three percent and                                                                                                                  exceeding five years. Under the phased
                                                                                                                                 the full benefits will not be received                                       implementation alternative, these
                                                    seven percent discount rate as required                                      until all contracts have expired, been
                                                    by Circular A–4 and the results appear                                                                                                                    growers would continue to be exposed
                                                                                                                                 altered, or replaced by new contracts.                                       to the potential market failures
                                                    in the following table.
                                                                                                                                 Cost-Benefit Comparison of Regulatory                                        discussed above until their contracts
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                                                       TABLE 13—ANNUALIZED COSTS OF  Alternatives                                                                                                             expire or are renewed. GIPSA
                                                       PROPOSED § 201.214—PHASED IM-                                                                                                                          considered all three regulatory
                                                                                       The status quo alternative has zero
                                                        PLEMENTATION                                                                                                                                          alternatives and believes that the
                                                                                                                        marginal costs and benefits as GIPSA
                                                                                                                                                                                                              preferred alternative is the best
                                                                                                                        does not expect any changes in the
                                                                Discount rate                            ($ millions)   industry. GIPSA compared the                                                          alternative as the benefits of the
                                                                                                                        annualized costs of the preferred                                                     regulation will be captured immediately
                                                    3 Percent ..............................                       3.07                                                                                       by all growers, regardless of the length
                                                    7 Percent ..............................                       3.38 alternative to the annualized costs of the                                            of their contracts.
                                                                                                                        phased implementation alternative by


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                                                                               Federal Register / Vol. 81, No. 244 / Tuesday, December 20, 2016 / Proposed Rules                                                                   92739

                                                    Regulatory Flexibility Analysis                                          Another factor, however, that is                           89.7 percent of the poultry growing
                                                       The Small Business Administration                                  important in determining the economic                         contracts. Assuming that live poultry
                                                    (SBA) defines small businesses by their                               effect of the regulations is the number                       dealers classified as small businesses
                                                    North American Industry Classification                                of contracts held by a firm. GIPSA                            will bear about 10.3 percent of the costs,
                                                    System Codes (NAICS).42 Live poultry                                  records for 2014 indicated there were                         expected costs in the first year for live
                                                    dealers, NAICS 311615, are considered                                 21,925 poultry production contracts in                        poultry dealers classified as small
                                                    small businesses if they have fewer than                              effect, of which 13,370, or 61 percent,                       businesses would be $1.8 million.44
                                                    1,250 employees. Broiler and turkey                                   were held by the largest six live poultry                     Expected 10-year costs annualized at a
                                                    producers, NAICS 112320 and 112330,                                   dealers, and 90 percent (19,673) were                         three percent discount rate for live
                                                    are considered small businesses if their                              held by the largest 25 live poultry                           poultry dealers classified as small
                                                    sales are less than $750,000 per year.                                dealers. These 25 live poultry dealers                        businesses would be $387,000. Expected
                                                       GIPSA maintains data on live poultry                               are all in the large business SBA                             10-year costs annualized at a seven
                                                    dealers from the annual reports these                                 category, whereas the 21,925 poultry                          percent discount rate for live poultry
                                                    firms file with GIPSA. Currently, there                               growers holding the other end of the                          dealers classified as small businesses
                                                    are 133 live poultry dealers that would                               contracts are almost all small businesses                     would be $429,000.
                                                    be subject to the proposed regulations.                               by SBA’s definitions.                                           In considering the impact on small
                                                    According to U.S. Census data on                                         To the extent the proposed rule                            businesses, GIPSA considered the
                                                    County Business Patterns, there were 74                               imposes costs, these costs are expected                       average costs and revenues of each
                                                    poultry slaughter firms that had more                                 to be borne by live poultry dealers. The                      small business impacted by § 201.214.
                                                    than 1,000 employees in 2013.43 The                                   costs likely include legal review of                          The number of small businesses
                                                    difference yields approximately 59                                    contracts, record-keeping,                                    impacted by § 201.214, by NAICS code,
                                                    poultry slaughters that have fewer than                               administrative costs, developing a CMS,                       as well as the per entity, first-year and
                                                    1,000 employees and would be                                          and developing projection sheets.                             annualized costs at both the three
                                                    considered small businesses that would                                   Live poultry dealers classified as large                   percent and seven percent discount
                                                    be subject to the proposed regulations.                               businesses are responsible for about                          rates appear in the following table.

                                                                                                TABLE 15—PER ENTITY COSTS TO SMALL BUSINESSES OF § 201.214
                                                                                                                                                                    Number of                             Annualized          Annualized
                                                                                                                                                                                        First year
                                                                                                     NAICS                                                            small                               costs—3%            costs—7%
                                                                                                                                                                                            ($)
                                                                                                                                                                     business                                 ($)                 ($)

                                                    311615—Poultry ..............................................................................................          59            30,246              6,563               7,278



                                                      The following table compares the                                    all firms in the same NAICS code. The                         rate is shown as it is the higher
                                                    average per entity first-year and                                     annualized costs are slightly higher at                       annualized cost.
                                                    annualized costs of § 201.214 to the                                  the seven percent rate than at the three
                                                    average revenue per establishment for                                 percent rate, so only the seven percent

                                                                      TABLE 16—COMPARISON OF PER ENTITY COST TO SMALL BUSINESSES OF § 201.214 TO REVENUES
                                                                                                                                                Average              Average                               First-year         Annualized
                                                                                                                                                                                         Average
                                                                                                                                                first-year          annualized                               cost as            cost as
                                                                                                                    Number of                                                          revenue per
                                                                            NAICS                                                               cost per             cost per                              percent of         percent of
                                                                                                                  small business                                                      establishment
                                                                                                                                                   entity             entity                                revenue            revenue
                                                                                                                                                                                           ($)
                                                                                                                                                    ($)                ($)                                     (%)                (%)

                                                    311615—Poultry ......................................                  59                    30,246                   7,278        13,842,548             0.22                0.05



                                                       The revenue figure in the above table                              number of small business entities as                          Executive Order 12988
                                                    come from Census data for live poultry                                defined in the Regulatory Flexibility Act
                                                                                                                                                                                           This proposed rule has been reviewed
                                                    dealers, NAICS code 311615.45                                         (5 U.S.C. 601 et seq.). While confident
                                                                                                                                                                                        under Executive Order 12988, Civil
                                                       As the results in Table 16                                         in this certification, GIPSA                                  Justice Reform. These actions are not
                                                    demonstrate, the first-year and                                       acknowledges that individual                                  intended to have retroactive effect,
                                                    annualized costs of § 201.214 as a                                    businesses may have relevant data to                          although in some instances they merely
                                                    percent of revenue is small at less than                              supplement our analysis. We would                             reiterate GIPSA’s previous
                                                    one percent.                                                          encourage small stakeholders to submit                        interpretation of the P&S Act. This
                                                       Based on the above analyses regarding                              any relevant data during the comment                          proposed rule would not pre-empt state
                                                    § 201.214, GIPSA certifies that this rule                             period.                                                       or local laws, regulations, or policies,
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                                                    is not expected to have a significant                                                                                               unless they present an irreconcilable
                                                    economic impact on a substantial                                                                                                    conflict with this rule. There are no
                                                      42 See: http://www.sba.gov/idc/groups/public/                       26, 2016. The U.S. Census data reports data in                  44 Estimated first year costs of $17.37 million ×

                                                    documents/sba_homepage/serv_sstd_tablepdf.pdf.                        thousands making 1,000 the closest number of                  10.27 percent of firms that are small businesses =
                                                    Accessed on August 26, 2016.                                          employees to SBA’s small business classification of           $1.8 million.
                                                      43 http://factfinder.census.gov/faces/                                                                                              45 Source: http://www.census.gov/data/tables/
                                                                                                                          1,250 employees.
                                                    tableservices/jsf/pages/                                                                                                            2012/econ/susb/2012-susb-annual.html. Accessed
                                                    productview.xhtml?src=bkmk. Accessed on August                                                                                      on November 29, 2016.



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                                                    92740                Federal Register / Vol. 81, No. 244 / Tuesday, December 20, 2016 / Proposed Rules

                                                    administrative procedures that must be                  PART 201—Regulations Under the                        deceptive or gives an undue or
                                                    exhausted prior to any judicial                         Packers and Stockyards Act                            unreasonable preference or advantage to
                                                    challenge to the provisions of this                                                                           any poultry grower or subjects any
                                                    proposed rule. Nothing in this proposed                 ■ 1. The authority citation for Part 201              poultry grower to an undue or
                                                    rule is intended to interfere with a                    continues to read as follows:                         unreasonable prejudice or disadvantage.
                                                    person’s right to enforce liability against                 Authority: 7 U.S.C. 181–229c.                     Larry Mitchell,
                                                    any person subject to the P&S Act under                 ■ 2. Amend § 201.210 by adding                        Administrator, Grain Inspection, Packers and
                                                    authority granted in section 308 of the                 paragraph (b)(10) to read as follows:                 Stockyards Administration.
                                                    P&S Act.
                                                                                                            *     *     *     *    *                              [FR Doc. 2016–30429 Filed 12–19–16; 8:45 am]
                                                    Executive Order 13175                                     (b) * * *                                           BILLING CODE 3410–KD–P
                                                                                                              (10) Failing to use a poultry grower
                                                      This proposed rule has been reviewed                  ranking system in a fair manner after
                                                    in accordance with the requirements of                  applying the criteria in § 201.214.                   DEPARTMENT OF TRANSPORTATION
                                                    Executive Order 13175, ‘‘Consultation                   ■ 2. Add new § 201.214 to read as
                                                    and Coordination with Indian Tribal                     follows:                                              Federal Aviation Administration
                                                    Governments.’’ Executive Order 13175
                                                    requires Federal agencies to consult and                § 201.214    Poultry grower ranking systems.          14 CFR Part 39
                                                    coordinate with tribes on a government-                    The Secretary may consider various
                                                                                                                                                                  [Docket No. FAA–2016–9501; Directorate
                                                    to-government basis on policies that                    criteria when determining whether a                   Identifier 2016–NM–137–AD]
                                                    have tribal implications, including                     live poultry dealer has engaged in a
                                                    regulations, legislative comments or                    pattern or practice to use a poultry                  RIN 2120–AA64
                                                    proposed legislation, and other policy                  grower ranking system to compensate
                                                    statements or actions that have                         poultry growers in an unfair, unjustly                Airworthiness Directives; The Boeing
                                                    substantial direct effects on one or more               discriminatory, or deceptive manner, or               Company Airplanes
                                                    Indian tribes, on the relationship                      in a way that gives an undue or                       AGENCY: Federal Aviation
                                                    between the Federal Government and                      unreasonable preference or advantage to               Administration (FAA), DOT.
                                                    Indian tribes or on the distribution of                 any poultry grower or subjects any                    ACTION: Notice of proposed rulemaking
                                                    power and responsibilities between the                  poultry grower to an undue or                         (NPRM).
                                                    Federal Government and Indian tribes.                   unreasonable prejudice or disadvantage.
                                                      GIPSA has assessed the impact of this                 These criteria include, but are not                   SUMMARY:   We propose to adopt a new
                                                    rule on Indian tribes and determined                    limited to:                                           airworthiness directive (AD) for The
                                                    that this rule does not, to our                            (a) Whether a live poultry dealer                  Boeing Company Model 777 airplanes.
                                                    knowledge, have tribal implications that                provides sufficient information to                    This proposed AD was prompted by
                                                    require tribal consultation under EO                    enable a poultry grower to make                       reports of uncommanded altitude
                                                    13175. If a tribe requests consultation,                informed business decisions. Such                     display changes in the mode control
                                                    GIPSA will work with the Office of                      information should include the                        panel (MCP) altitude window. This
                                                    Tribal Relations to ensure meaningful                   anticipated number of flocks per year,                proposed AD would require replacing
                                                    consultation is provided where changes,                 the average gross income from each                    the existing MCP with a new MCP
                                                    additions, and modifications identified                 flock, and any other information                      having a different part number. We are
                                                    herein are not expressly mandated by                    necessary to enable a poultry grower to               proposing this AD to address the unsafe
                                                    Congress.                                               calculate the expected income from the                condition on these products.
                                                                                                            poultry growing arrangement;                          DATES: We must receive comments on
                                                    Paperwork Reduction Act                                    (b) Whether a live poultry dealer                  this proposed AD by February 3, 2017.
                                                                                                            supplies inputs of comparable quality                 ADDRESSES: You may send comments,
                                                       This proposed rule does not contain                  and quantity to all poultry growers in                using the procedures found in 14 CFR
                                                    new or amended information collection                   the ranking group; and whether there is               11.43 and 11.45, by any of the following
                                                    requirements subject to the Paperwork                   a pattern or practice of supplying                    methods:
                                                    Reduction Act of 1995 (44 U.S.C. 3501                   inferior inputs to one or more poultry                  • Federal eRulemaking Portal: Go to
                                                    et seq.). It does not involve collection of             growers in the ranking group. Inputs                  http://www.regulations.gov. Follow the
                                                    new or additional information by the                    include birds, feed, medication, and any              instructions for submitting comments.
                                                    federal government.                                     other input supplied by the live poultry                • Fax: 202–493–2251.
                                                    E-Government Act Compliance                             dealer;                                                 • Mail: U.S. Department of
                                                                                                               (c) Whether a live poultry dealer                  Transportation, Docket Operations, M–
                                                      GIPSA is committed to compliance                      includes poultry growers provided with                30, West Building Ground Floor, Room
                                                    with the E-Government Act, to promote                   dissimilar production variables in the                W12–140, 1200 New Jersey Avenue SE.,
                                                    the use of the Internet and other                       ranking group in a manner that affects                Washington, DC 20590.
                                                    information technologies to provide                     a poultry grower’s compensation.                        • Hand Delivery: Deliver to Mail
                                                    increased opportunities for citizen                     Production variables include, but are                 address above between 9 a.m. and 5
                                                    access to Government information and                    not limited to, the density at which the              p.m., Monday through Friday, except
                                                    services, and for other purposes.                       live poultry dealer places birds, the                 Federal holidays.
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                                                                                                            target slaughter weights of the birds, and              For service information identified in
                                                    List of Subjects in 9 CFR Part 201                      bird ages that vary by more than seven                this NPRM, contact Boeing Commercial
                                                                                                            days; and                                             Airplanes, Attention: Data & Services
                                                      Contracts, Poultry, Livestock, Trade
                                                                                                               (d) Whether a live poultry dealer has              Management, P.O. Box 3707, MC 2H–65,
                                                    Practices.
                                                                                                            demonstrated a legitimate business                    Seattle, WA 98124–2207; telephone:
                                                      For the reasons set forth in the                      justification for use of a poultry grower             206–544–5000, extension 1; fax: 206–
                                                    preamble, we propose to amend 9 CFR                     ranking system that may otherwise be                  766–5680; Internet: https://
                                                    part 201 to read as follows:                            unfair, unjustly discriminatory, or                   www.myboeingfleet.com. You may view


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Document Created: 2018-02-14 09:09:31
Document Modified: 2018-02-14 09:09:31
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionProposed rule.
DatesWe will consider comments we receive by February 21, 2017.
ContactS. Brett Offutt, Director, Litigation and Economic Analysis Division, P&SP, GIPSA, 1400 Independence Ave. SW., Washington, DC 20250-3601, (202) 720-7051, [email protected]
FR Citation81 FR 92723 
RIN Number0580-AB26
CFR AssociatedContracts; Poultry; Livestock and Trade Practices

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