81_FR_94464 81 FR 94217 - Importation of Lemons From Northwest Argentina

81 FR 94217 - Importation of Lemons From Northwest Argentina

DEPARTMENT OF AGRICULTURE
Animal and Plant Health Inspection Service

Federal Register Volume 81, Issue 247 (December 23, 2016)

Page Range94217-94230
FR Document2016-31013

We are amending the fruits and vegetables regulations to allow the importation of lemons from northwest Argentina into the continental United States. As a condition of entry, lemons from northwest Argentina would have to be produced in accordance with a systems approach that includes requirements for importation in commercial consignments; registration and monitoring of places of production and packinghouses; pest-free places of production; grove sanitation, monitoring, and pest control practices; treatment with a surface disinfectant; lot identification; and inspection for quarantine pests by the Argentine national plant protection organization. Additionally, lemons from northwest Argentina will have to be harvested green and within a certain time period, or treated for Mediterranean fruit fly in accordance with an approved treatment schedule. Lemons from northwest Argentina will also be required to be accompanied by a phytosanitary certificate with an additional declaration stating that the lemons have been inspected and found to be free of quarantine pests and were produced in accordance with the requirements. This action allows for the importation of lemons from northwest Argentina into the United States while continuing to provide protection against the introduction of quarantine pests.

Federal Register, Volume 81 Issue 247 (Friday, December 23, 2016)
[Federal Register Volume 81, Number 247 (Friday, December 23, 2016)]
[Rules and Regulations]
[Pages 94217-94230]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-31013]


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DEPARTMENT OF AGRICULTURE

Animal and Plant Health Inspection Service

7 CFR Part 319

[Docket No. APHIS-2014-0092]
RIN 0579-AE17


Importation of Lemons From Northwest Argentina

AGENCY: Animal and Plant Health Inspection Service, USDA.

ACTION: Final rule.

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SUMMARY: We are amending the fruits and vegetables regulations to allow 
the importation of lemons from northwest Argentina into the continental 
United States. As a condition of entry, lemons from northwest Argentina 
would have to be produced in accordance with a systems approach that 
includes requirements for importation in commercial consignments; 
registration and monitoring of places of production and packinghouses; 
pest-free places of production; grove sanitation, monitoring, and pest 
control practices; treatment with a surface disinfectant; lot 
identification; and inspection for quarantine pests by the Argentine 
national plant protection organization. Additionally, lemons from 
northwest Argentina will have to be harvested green and within a 
certain time period, or treated for Mediterranean fruit fly in 
accordance with an approved treatment schedule. Lemons from northwest 
Argentina will also be required to be accompanied by a phytosanitary 
certificate with an additional declaration stating that the lemons have 
been inspected and found to be free of quarantine pests and were 
produced in accordance with the requirements. This action allows for 
the importation of lemons from northwest Argentina into the United 
States while continuing to provide protection against the introduction 
of quarantine pests.

DATES:  Effective January 23, 2017.

FOR FURTHER INFORMATION CONTACT: Mr. Juan A. (Tony) Rom[aacute]n, 
Senior Regulatory Policy Specialist, PPQ, APHIS, 4700 River Road Unit 
133, Riverdale, MD 20737-1236; (301) 851-2242.

SUPPLEMENTARY INFORMATION: 

Background

    The regulations in ``Subpart-Fruits and Vegetables'' (7 CFR 319.56-
1 through 319.56-75, referred to below as the regulations) prohibit or 
restrict the importation of fruits and vegetables into the United 
States from certain parts of the world to prevent the introduction and 
dissemination of plant pests within the United States.
    On May 10, 2016, we published in the Federal Register (81 FR 28758, 
Docket No. APHIS-2014-0092) a proposal \1\ to amend the regulations to 
allow the importation of commercial consignments of fresh lemons from 
northwest Argentina into the continental United States, subject to a 
systems approach.
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    \1\ To view the proposed rule and the comments we received, go 
to http://www.regulations.gov/#!docketDetail;D=APHIS-2014-0092.
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    We solicited comments concerning our proposal for 60 days ending 
July 11, 2016. We extended the deadline for comments until August 10, 
2016, in a document published in the Federal Register on July 11, 2016 
(81 FR 44801, Docket No. APHIS-2014-0092). We received 414 comments by 
that date. They were from domestic and foreign citrus producers, State 
and national organizations representing citrus producers, State 
departments of agriculture, an organization of State plant pest 
regulatory agencies, Argentina's national plant protection 
organization, the Argentine embassy, lemon importers and wholesalers, 
longshoremen, U.S. ports of entry, Senators, Representatives, an 
Argentine organization devoted to citrus research, and private 
citizens. Forty-seven commenters supported the rule as proposed. 
Seventy-six commenters generally opposed the proposed rule but did not 
address any specific provisions. The remaining commenters raised a 
number of issues and concerns about the proposed rule. These comments 
are discussed below by topic.
    One commenter stated that the proposed rule failed to comply with 
the requirements of the National Environmental Policy Act (NEPA). 
Specifically, the commenter stated that the proposed rule is a major 
Federal action that significantly affects the human environment, as set 
forth in 40 CFR 1508.18 and 1508.27, respectively, and that the Animal 
and Plant Health Inspection Service (APHIS) should have prepared an 
environmental impact statement or environmental assessment (EA). The 
commenter further stated that none of the APHIS categorical exclusions 
set forth in 7 CFR 1b.3 apply, therefore at a minimum, APHIS is 
obligated to prepare an EA.
    APHIS notes that the APHIS NEPA implementing regulations in 7 CFR 
part 372 specify that additional routine measures used by APHIS are 
categorically exempt from NEPA, in addition to those measures set forth 
in 7 CFR 1b.3. The measures in this rule that will occur within the 
United States fall within the scope of these additional routine 
measures. Accordingly, a categorical exclusion was prepared.
    We do not agree that the rule meets Council on Environmental 
Quality requirements for a ``significant'' Federal action, and thus, by 
definition, cannot be a ``major'' Federal action (a type of significant 
action). The rule is not contextually significant from a policy 
standpoint because it does not substantially alter existing policy 
regarding market access requests, and has severity/intensity only if 
one concedes that the mitigations specified in the rule are ineffective 
in precluding the introduction of quarantine pests. We consider them 
effective, for reasons discussed below.
    One commenter stated that APHIS must take all available measures to 
preclude introduction of invasive species into the United States.
    APHIS agrees. Under the Plant Protection Act (7 U.S.C. 7701 et 
seq.), we are responsible for regulating exports, imports, and 
interstate commerce in agricultural products and other commodities that 
pose a risk of harboring plant pests or noxious weeds in ways that are 
based on sound science and that will reduce the risk of dissemination 
of plant pests or noxious weeds. For this reason we prepared a pest 
risk assessment (PRA) and assigned mitigations with a proven track 
record in the risk management document (RMD).
    One commenter noted that APHIS has also recently published proposed 
rules to allow for the importation of citrus from South Africa (79 FR 
51273, Docket No. APHIS-2014-0015) and Chile (81

[[Page 94218]]

FR 19063, Docket No. APHIS-2015-0051). The commenter stated that 
because both of those proposals deal with a disease or pest of concern 
which is also of concern in the Argentine proposal, APHIS should not 
finalize this rulemaking until we have responded to the comments on the 
other proposed rules.
    We disagree with the commenter that the other rules must be 
finalized before we can proceed with this rule. APHIS considers each of 
its rulemakings as a distinct regulatory action. This is consistent 
both with the language of the Administrative Procedure Act (5 U.S.C. 
551-559) and with case history regarding its implementation.

Site Visits

    Many commenters stated that APHIS should conduct an additional site 
visit before the rule is implemented. Many of those commenters also 
stated that representatives of State governments and subject matter 
experts should be involved in the site visit.
    APHIS conducted an additional site visit to review the details of 
the draft operational workplan in September of 2016. In addition to 
APHIS personnel, a representative from the California Department of 
Food and Agriculture and a former plant pathologist from the United 
States Department of Agriculture, Agricultural Research Service (ARS) 
participated in the site visit as observers. The site visit revealed 
nothing that would require a revision of the PRA.
    Some commenters stated that the site visit should include a 
holistic review of Argentina's production system. Other commenters 
stated that Argentina's traceability system provides holistic records 
of their production system.
    APHIS conducted a thorough review of Argentina's traceability 
system. We looked at the requirements for growers signing up, initial 
site visits of production sites, ongoing oversight during the growing 
season, field and packinghouse inspection, approval for movement and 
the final inspection for phytosanitary certificates. We also reviewed 
the computer system they use, how users are added, who controls 
movement and harvest approvals, and who issues phytosanitary 
certificates. Based on that review, we consider Argentina's 
traceability system to be robust, and we will use it for traceback as 
necessary. However, as specified in the proposed rule, we also consider 
it necessary to be able to identify lots of lemons through the export 
process, from the place of production to arrival at the port of entry. 
This establishes traceability beyond the scope of the Argentine 
domestic traceability system.
    One commenter stated that Argentina's traceability system will not 
be able to trace detections of quarantine pests in U.S. orchards or 
urban areas back to places of production.
    APHIS is confident that if the mitigations in the rule are adhered 
to, quarantine pests will not be introduced into United States orchards 
or urban areas.
    One commenter stated that Argentina's traceability system has 
limited utility for citrus black spot (CBS), given its prolonged 
latency period.
    As we explained in the PRA, fruit is not a pathway for CBS.
    One commenter stated that the site visit should specifically focus 
on the infrastructure of the national plant protection organization 
(NPPO) of Argentina. Another commenter stated that the site visit 
should specifically focus on NPPO oversight of places of production.
    The NPPO of Argentina is the Servicio Nacional de Sanidad y Calidad 
Agroalimentaria (SENASA). During the September 2016 site visit, we 
looked at SENASA's infrastructure and asked questions to address their 
capacity to provide oversight. We remain confident that SENASA will be 
able to adhere to the requirements of the systems approach.
    Some commenters stated that the site visit should specifically 
focus on identifying pest populations in or near production sites.
    During the site visit, we asked questions about pest populations, 
and we looked ourselves at fruit fly traps and at the citrus for signs 
of pests. We did not discover anything that requires revisions to the 
PRA.
    One commenter stated that the site visit should specifically focus 
on organic production sites.
    APHIS did specifically ask about organic production. Argentina may 
in the future ship organic fruit, but currently they do not. Current 
packinghouse practices include chemical treatments that are not 
organic, so any fruit that arrived from an organic production site 
would lose its organic status during packinghouse processing.
    We will ask SENASA about organic production in northwest Argentina, 
as well as pest control guidelines they have developed for organic 
producers. We note that there are provisions in the systems approach 
that preclude the commingling of organic lemons and lemons for export 
to the United States later in the production chain.
    One commenter stated that the site visit should be conducted during 
the summer months in Argentina.
    The 2015 site visit occurred in June, during harvest season in 
Argentina. For this reason, APHIS considered a second site visit during 
the September/October timeframe to be sufficient.
    One commenter stated that two additional site visits are needed. 
Specifically, the commenter stated that after the September site visit, 
a second fact-finding trip should be made to review the harvesting and 
packing operations in Argentina. The commenter stated that a trip at 
that time is needed since so many steps in the systems approach take 
place during the harvesting and packing operations.
    APHIS disagrees. As we explained above, the 2015 site visit 
occurred in June, which is during the harvest season in Argentina. For 
this reason, we do not consider two additional site visits to be 
necessary.
    Two commenters stated that industry stakeholders should be allowed 
to consult with trip members on their findings.
    APHIS prepared a site visit report outlining the findings of the 
visit. The site visit report is available on the APHIS Web site at 
https://www.aphis.usda.gov/aphis/ourfocus/planthealth/import-information/proposal-import-lemons-argentina.
    Many commenters expressed concern that the findings of the 2007 
site visit are outdated.
    The trip in 2007 was conducted by APHIS risk assessors to evaluate 
pest complexes in Argentina in order to prepare the PRA. Information 
from this trip served as a baseline primarily for the pest list in the 
PRA. The PRA, as other commenters noted, has been continually updated 
since this trip through means that APHIS routinely uses to update PRAs, 
such as literature review and ongoing consultation with the NPPO of 
Argentina. More specifically, the PRA was updated in 2014 after 
publication of new research results on seed transmission of citrus 
variegated chlorosis (CVC) in citrus. The PRA was also updated in 2014 
in response to a new finding of citrus greening, also known as 
Huanglongbing (HLB), in Argentina. The PRA was reviewed by APHIS 
personnel at the same time to address comments from Argentina regarding 
the pest list. Furthermore, APHIS conducted a site visit just last 
year, in June of 2015, and the information gathered during that visit 
was used to update the PRA before the proposed rule was published.

[[Page 94219]]

    Two commenters stated that the 2015 site visit was not a technical 
review of Argentina's program.
    The commenters are mistaken. The 2015 site visit was a technical 
review of Argentina's program.
    Three commenters stated that APHIS did not provide enough 
information to the public regarding the 2015 site visit to evaluate its 
adequacy. Two commenters stated that APHIS' slow response to a Freedom 
of Information Act (FOIA) request for documents regarding the 2015 site 
visit is an indication of the inadequacy of the trip.
    APHIS has received the FOIA request and is in the process of 
responding to it. The time taken to respond to the FOIA request is 
consistent with normal timeframes for such requests and not a 
reflection of the adequacy of the trip.
    One commenter stated that APHIS' willingness to conduct another 
site visit is an indication of the inadequacy of the 2015 site visit.
    Usually, APHIS conducts one site visit as close to the 
implementation of a new systems approach as possible in order to aid in 
development of the operational workplan. It was therefore entirely in 
keeping with APHIS policy to conduct the September 2016 site visit 
prior to implementing this final rule, and is not indicative of flaws 
in the 2015 visit.
    The 2015 site visit team included several APHIS risk managers who 
have extensive experience in evaluating foreign production systems to 
determine the ability of those systems to meet requisite mitigation 
measures.

Pest Risk Assessment

    One commenter stated that updated information appears to have been 
incorporated into the PRA in a piecemeal fashion, without checking 
whether any conclusions or assumptions were affected.
    APHIS notes that we have updated the PRA several times. Appendix 1 
of the PRA summarizes updates to the draft PRA in response to public 
and peer review comments; Appendix 2 summarizes updates to the PRA made 
between 2008 and 2015 in response to new scientific information. Any 
time we incorporated new material into the PRA we reviewed the PRA to 
check the conclusions.
    One commenter stated that information provided by SENASA is 
unreliable.
    We disagree with the commenter. We have conducted two site visits 
during which we have verified the information provided by SENASA. They 
have also answered all the questions we have asked and provided all 
information we have requested.
    Two commenters stated that stakeholder comments on the PRA appear 
to have been ignored.
    APHIS posts PRAs and other documents for stakeholder review. As 
noted on the Web site on which the documents are posted, while 
stakeholder comments may result in changes to the PRA, as well as the 
RMD and the rule, it is not APHIS policy to compile or post responses 
to the comments received. This is because these documents are also made 
available for review and comment along with the rules and notices that 
propose to grant market access. Any comments that we receive on the 
documents during that comment period are addressed in a final 
regulatory action.
    APHIS reviewed all of the comments that we received on the PRA and 
RMD. Certain comments, such as statements agreeing that Brevipalpus 
chilensis should be listed as a pest of lemons that is known to exist 
in Argentina, or that green lemons should not be required to be treated 
for Mediterranean fruit fly (Medfly), required no changes to the PRA or 
RMD because the commenters' requests were already reflected in the PRA 
or RMD. Other comments, such as a request to indicate whether the mites 
B. californicus, B. obovatus, and B. phoenicis (Brevipalpus spp.) were 
surface feeders, were incorporated into the PRA and RMD.
    Other suggested revisions, such as revising the RMD to prohibit the 
importation of lemons with leaves attached, would have made the rule 
more stringent that our domestic requirements for the interstate 
movement of citrus fruit from areas quarantined for pests and diseases 
of citrus, and were not incorporated for that reason. Similarly, other 
revisions would have made the PRA or RMD inconsistent with how other 
APHIS documents discuss the same pest of concern or mitigation 
structure.
    Finally, certain comments, such as that the NPPO of Argentina could 
not be trusted to abide by the systems approach, were reiterated during 
the comment period and dismissed for reasons discussed below under the 
heading ``Risk Management Document.''
    One commenter stated that a footnote in the Executive Summary to 
the PRA seems to define the term ``commercially produced,'' but in fact 
only describes conditions of the fruit after harvest and processing. 
The commenter stated that the term ``commercially produced'' should be 
limited to conditions at places of production.
    The term ``commercially produced'' is equivalent to ``commercial 
consignments.'' It includes all aspects of the production system: The 
manner in which the fruit was grown and harvested, the quality of the 
fruit, the manner in which it is packaged, the quantities packaged, and 
the requisite accompanying documentation.
    One commenter stated that the PRA and proposed rule did not 
identify pests of concern for Argentine lemons.
    The pest list in the PRA identifies pests of lemons that are known 
to exist in Argentina.
    One commenter stated that four pathogens--Elsino[euml] australis, 
Phyllosticta citricarpa, Xanthomonas citri subsp. citri (Xcc), and 
citrus leprosis virus--can all infect fruit and stay viable while on 
the fruit, even though capacity for transmission from infected fruit 
may be low. The commenter stated that the answer to the question ``Can 
it follow the pathway?'' for all four pathogens should be changed to 
``yes.''
    APHIS notes that, while these could follow the pathway, the 
capacity for introduction or transmission of disease is so 
epidemiologically insignificant that further analysis was not 
warranted.
    One commenter stated that citrus leprosis virus should have been 
selected for further analysis in the PRA as it is a quarantine pest 
likely to follow the pathway.
    Citrus leprosis virus is not systemic and cannot be transmitted 
apart from viruliferous Brevipalpus spp. mites. It can follow the 
pathway only if it is vectored by the mites. For this reason we do not 
consider the virus to be a quarantine pest likely to follow the 
pathway.
    One commenter stated that the citation in the PRA to the APHIS 
domestic fruit fly quarantine and regulations, which address Medfly was 
outdated and have been replaced with 7 CFR 301.32. The commenter noted 
that in the current regulations, only yellow lemons are regulated 
articles for Medfly.
    The commenter is correct; the citations were outdated. However, 
this does not affect the conclusions of the PRA that green lemons are a 
poor host for Medfly.
    Several commenters stated that the pest risk associated with 
importation of lemons is too high, and that the domestic citrus 
industry would suffer as a result of pest introductions.
    If the mitigations in the rule are adhered to, this pest risk will 
be mitigated. Furthermore, some of these commenters appear to have 
overestimated the likelihood of introduction associated with certain of

[[Page 94220]]

the pests. For example, Cryptoblabes gnidiella and Gymnandrosoma 
aurantianum have never been intercepted in commercial shipments of 
citrus from South America. Both are associated with poorly managed or 
non-commercial citrus, like backyard fruit.
    One commenter stated that B. chilensis should have been rated as 
high risk in the PRA.
    APHIS notes that B. chilensis was in fact rated as high risk in the 
PRA.
    One commenter stated that Brevipalpus spp. mites should all have 
been rated ``High Risk.'' The commenter cited a scientific article on 
Brevipalpus mites and the diseases they transmit \2\ in support of this 
statement.
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    \2\ Childers, C.C. and J.C.V. Rodrigues. 2011. An overview of 
Brevipalpus mites (Acari: Tenuipalpidae) and the plant viruses they 
transmit. Zoosymposia 6:180-192.
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    In that article, Childers and Rodrigues state that the only 
confirmed vector of citrus leprosis in the Western Hemisphere is B. 
phoenicis. The other mites are suspected to be vectors, but are not 
known vectors. Given that we consider B. californicus, B. obovatus, and 
B. phoenicis to be quarantine pests only insofar as they may vector 
citrus leprosis virus, and there is some uncertainty regarding the 
ability of B. californicus and B. obovatus to vector this disease, we 
consider a medium risk rating to be appropriate. It is also consistent 
with how we have rated these pests in other PRAs.
    More importantly, a high risk rating would not have changed our 
mitigations for the pests. Under APHIS policy, both medium risk and 
high-risk pests are subject to pest-specific mitigations beyond port of 
entry inspection, and the mitigations we prescribed to address 
Brevipalpus spp. are based on the possibility that they may vector 
citrus leprosis virus, rather than the risk rating ascribed to the 
pests.
    One commenter stated that the overall risk rating should have been 
higher.
    As we explained above, a higher overall risk rating would not have 
changed the mitigation structure.
    One commenter asked why, if ``not be detected at the port of 
entry'' did not impact risk ratings, port of entry inspection is a 
component of the systems approach.
    ``Not be detected at the port of entry'' was removed as a criterion 
in the PRA because APHIS does not have enough information about 
relative likelihood of detection at the port of entry to be able to 
weight this criterion relative to other elements. As a result, this 
criterion could not substantially impact the risk ratings.
    This does not imply that port of entry inspections are an 
ineffective component of a systems approach. Port of entry inspections 
by U.S. Customs and Border Protection (CBP) are, in fact, capable of 
detecting quarantine pests and are a significant mitigation against 
pests entering the United States. For example, in December 2015, CBP 
detections of Medfly larvae on Spanish tomatoes and Moroccan citrus led 
us to suspend market access for those commodities, pending 
investigations.
    One commenter asked why, if fruit is not an ``epidemiologically 
significant'' pathway for E. australis, P. citricarpa, and Xcc, the PRA 
says ``additional specified risk management options may be required.''
    While we do not consider fruit to be an epidemiologically 
significant pathway for these pests, the pests are subject to domestic 
quarantines within the United States. For the sake of consistency with 
domestic regulations regarding the interstate movement of fruit from 
areas quarantined for CBS, sweet orange scab, and Xcc, we would require 
fruit to be washed, brushed, waxed, and surface disinfected. It is 
worth noting that such washing, brushing, waxing, and disinfecting are 
standard packinghouse procedures both domestically and internationally.
    Likelihood and Consequences of Establishment
    Several commenters stated that citrus-producing areas are 
particularly at risk for establishment of quarantine pests that could 
follow the pathway.
    Incorporating information regarding likelihood of establishment 
would not have affected the pest risk ratings or the risk mitigation 
structure. As we explained above, both medium and high-risk pests are 
subject to pest-specific mitigations beyond standard port-of-entry 
inspection.
    One commenter stated that the PRA does not acknowledge that 
backyard citrus in California is in proximity to ports of entry. Other 
commenters stated that the PRA does not recognize that most quarantine 
pest introductions first occur in urban areas, and are undetected. 
Three commenters stated that urban areas in Texas and California abut 
production areas and expressed concern that pests could become 
established in urban areas with backyard citrus and then spread into 
production areas.
    As we noted above, incorporating this information into the PRA 
would not have affected either the pest risk ratings or the risk 
mitigation structure.
    One commenter stated that Climate-Host interaction for Brevipalpus 
spp. should have been rated ``high.'' The commenter cited a 2012 
reference in the Ninth Report of the International Committee of 
Taxonomy of Viruses \3\ that said that citrus leprosis virus was 
transmitted to several other experimental hosts from other genera 
including Phaseolus vulgaris in support of this statement.
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    \3\ ``Virus taxonomy: classification and nomenclature of 
viruses: Ninth Report of the International Committee on Taxonomy of 
Viruses.'' (2012) Ed: King, A.M.Q., Adams, M.J., Carstens, E.B. and 
Lefkowitz, E.J. San Diego: Elsevier Academic Press.
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    There is no mention in the report of whether the conditions under 
which transmission to P. vulgaris occurred could be reduplicated 
outside of laboratory conditions. The sentence the commenter is 
referring to is immediately preceded by a sentence referring to 
mechanically administering inoculum to induce symptoms in articles 
previously considered non-hosts. This, coupled with the use of 
``experimental'' to describe inoculation of P. vulgaris, suggests the 
study was not intended to reduplicate actual ``field'' conditions.
    In the PRA, we identified the dispersal potential of B. chilensis 
as ``medium'' and of Brevipalpus spp. as ``high.'' One commenter stated 
that the dispersal potential for both B. chilensis and Brevipalpus spp. 
should be high.
    The commenter is correct that the dispersal potential for both B. 
chilensis and Brevipalpus spp. should be the same; however, we disagree 
that the rating for both should be high. Based on the work of Childers 
and Rodrigues, the dispersal potential for both should be medium. Both 
B. chilensis and Brevipalpus spp. are very unlikely to move from one 
orchard tree to another. They both tend to aggregate, they move 
downwind slowly, and they do not balloon--that is, they do not produce 
streamers of silk and travel with wind currents for longer distances.
    One commenter stated that the environmental impact potential for 
Brevipalpus spp. is low, but the introduction of this pest infected 
with citrus leprosis virus would stimulate the use of chemical control. 
The commenter stated that the risk rating should therefore be changed 
to medium. The same commenter also stated that consequences of 
introduction for Brevipalpus spp. should have been considered high.
    We consider the ratings given to Brevipalpus spp. to be accurate. 
Under standard commercial packinghouse procedures, the mites would be 
washed or brushed off, even in the absence of required mitigations. 
Furthermore, citrus leprosis virus is not a systemic

[[Page 94221]]

infection, and mites do not feed on harvested fruit unless doing so is 
absolutely necessary for survival.
    Accordingly, for a non-viruliferous Brevipalpus mite in the United 
States to become a vector of citrus leprosis virus, the infected 
portions of the fruit would have to have abnormally high levels of 
inoculum, the mite would have to be on infested fruit, and the mite 
would have to specifically consume the infected portions of the fruit, 
climb up a tree, and infect the tree.
    Since citrus leprosis virus inoculum is not shed to offspring, this 
would also have to occur during the infected mite's lifetime. We 
consider the probability of this occurring to be extremely remote.
    One commenter stated that the likelihood of introduction for Medfly 
should have considered lemons a conditional host, rather than a 
conditional non-host.
    The designation of lemons as a conditional non-host of Medfly was 
based on research published by ARS scientists \4\ that examined the 
host status of immature lemons.
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    \4\ Spitler, G.H., J.W. Amstrong, and H.M. Couey. 1984. 
Mediterranean fruit fly (Diptera: Tephritidae) host status of 
commercial lemon. Journal of Economic Entomology 77(6):1441-1444.
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    One commenter stated that the PRA did not consider introduction via 
smuggling or diversion. The commenter expressed concern that the fruit 
could be carried to a home while vectoring a pest or disease.
    The PRA addressed the plant pest risk associated with the 
importation of commercially produced and commercially packed fresh 
lemon fruit from northwest Argentina into the United States. Fruit that 
is not commercially grown or packed are outside the scope of the risk 
assessment.

Risk Management Document

    One commenter stated that the RMD requirements are inadequate to 
eliminate the risk of introduction of the quarantine pests identified 
in the PRA, but did not provide the basis for their concern.
    Some commenters stated that the RMD and rule contain safeguards to 
address plant pest risk, and one commenter stated that similar systems 
approaches for citrus from other countries have proven effective. One 
commenter, however, stated that there are no similar systems approaches 
because no other growing area harbors this combination of pests and 
diseases of citrus, but is still asking to market fresh fruit.
    APHIS notes that the PRA for citrus from Uruguay had a very similar 
quarantine pest list--they did not have B. chilensis or Brevipalpus 
spp., but had all other quarantine pests identified in the Argentine 
citrus PRA. Accordingly, many provisions of the Argentine lemons 
systems approach were modeled on the Uruguay citrus systems approach, 
which has been in place for 3\1/2\ years now without incident. 
Furthermore, the Brevipalpus-specific provisions are not new, and have 
been tested for several different commodities in other countries.
    Five commenters expressed concern that Argentina cannot be trusted 
to abide by mitigations in the RMD and rule. Some of these commenters 
cited incidents that they believed showed Argentina handling sanitary 
or phytosanitary issues in deceptive ways. One commenter stated that, 
as a result of the history of SENASA, APHIS needs to exercise continual 
monitoring and oversight over the program.
    Argentina is a World Trade Organization member country and 
signatory on the Agreement on the Application of Sanitary and 
Phytosanitary Measures (SPS agreement). As such, it has agreed to 
respect the phytosanitary measures the United States imposes on the 
importation of plants and plant products from Argentina when the United 
States demonstrates the need to impose these measures in order to 
protect plant health within the United States. The PRA that accompanied 
the proposed rule provided evidence of such a need. Argentina has 
demonstrated the ability to comply with U.S. regulations with respect 
to other export programs.
    We disagree with several of the examples cited as recent 
prevarication by SENASA. APHIS became aware of the presence of A. 
fraterculus in blueberries in Argentina because of a scientific paper 
published by Argentina. The disagreement between APHIS and SENASA 
regarding the presence of B. chilensis in Argentina was based on 
differing opinions regarding whether the pest detected had been 
identified properly. As such, it indicated a difference of scientific 
opinion, rather than an act of deception.
    That said, the 2015 site visit specifically evaluated SENASA's 
oversight of the Argentine production system for lemons to determine 
whether the provisions of the systems approach could be implemented and 
maintained.
    Finally, as provided in paragraph (a) of the proposed rule, APHIS 
would be directly involved in monitoring and auditing implementation of 
the systems approach in Argentina. A determination that the systems 
approach had not been fully implemented or maintained would result in 
remedial actions, including possible suspension of the export program 
for Argentine lemons.
    One commenter expressed concern that the United States Department 
of Agriculture (USDA) cannot be trusted to abide by mitigations in the 
RMD and rule. The commenter referred to a scandal at Hunts Point 
Terminal Produce Market in the Bronx, NY, as an example of USDA 
personnel accepting bribes and kickbacks. The commenter stated that 
even if such events are not commonplace, they still must be factored 
into the risk assessment.
    The bribery and kickback scheme referenced by the commenter was 
revealed in 1999 after a 3-year investigation by the USDA Inspector 
General and involved Agriculture Marketing Service personnel, who have 
no role in the implementation of this rule.
    One commenter asked why, if the mitigations in the RMD are 
effective, the PRA discusses likelihood and consequences of 
introduction.
    The PRA follows our guidelines for PRAs. As such, it discusses the 
likelihood and consequences of quarantine pests that could follow the 
pathway on lemons from northwest Argentina to the United States, in the 
absence of any mitigations. This assessment is a necessary aspect of 
our evaluation of the risk rating for the pests.
    The RMD lists the mitigations that will be applied to prevent pests 
from following the pathway and being introduced.
    Three commenters stated that European Union (EU) detections of CBS 
on fruit from Argentina indicate the inability of Argentina to follow a 
systems approach.
    We disagree with the EU regarding the transmissibility of CBS via 
commercially produced fruit. The point of these statements in the PRA 
and RMD was to point out that Argentina has been able to implement and 
abide by a systems approach for lemons that rests on SENASA having the 
wherewithal to meet phytosanitary requirements. We note that the RMD 
stated that Argentina proposed the EU systems approach to us in its 
entirety as a mitigation structure, and that we rejected adopting it 
outright. Furthermore, the systems approach for Argentine citrus to the 
EU is the same systems approach applicable to U.S. citrus to the EU, 
indicating they consider us equivalent in terms of ability to adhere to 
phytosanitary requirements.

[[Page 94222]]

    It is also worth noting that the EU audit \5\ attributed the 
detections to a lack of traceability of individual lots of fruit to the 
production units in places of production, to some packinghouses 
commingling lemons destined for export with other fruit, and to some 
producers not applying pest controls for CBS. These mitigations, which 
were added to the EU directive following the detections, are all 
aspects of our systems approach. Our systems approach is, in short, 
more stringent than the EU directive was prior to the CBS detections.
---------------------------------------------------------------------------

    \5\ The audit is available online at ec.europa.eu/food/audits-
analysis/act_getPDF.cfm?PDF_ID=12522.
---------------------------------------------------------------------------

    One commenter stated that there is no evidence the EU systems 
approach for lemons from Argentina is equivalent to the systems 
approach proposed by APHIS.
    The two systems approaches are not equivalent, and we did not 
suggest they were. Rather, we made reference to the EU systems approach 
to illustrate that Argentina has the capacity to adhere to a stringent 
systems approach, so that it is plausible that they could adhere to our 
systems approach as well. We state in the RMD that Argentina proposed 
that we simply adopt the EU systems approach, and we rejected that 
proposal.
    One commenter stated that, because of proximity of ports of entry 
to urban areas, and urban areas to citrus production in the United 
States, any lapses from systems approach will have dire consequences.
    The commenter seems to be assuming that, if infested or infected 
fruit is shipped to the United States, it will not be detected at a 
port of entry inspection, and will necessarily result in the 
introduction of quarantine pests into the United States. This 
assumption is, in essence, that port of entry inspections are 
ineffective at detecting plant pests. We disagree with this assumption; 
port of entry inspections are an effective mitigation and have 
precluded two potential introductions of Medfly in the last year alone.
    One commenter stated that there is no definition or list of 
criteria for pests of ``quarantine significance'' in either the PRA or 
RMD. The commenter asked what the criteria are for determining what 
pests are of quarantine significance.
    The PRA, RMD, and rule use the terms ``quarantine significance'' 
and ``quarantine pest'' interchangeably. In Sec.  319.56-2 of the 
regulations, we define a quarantine pest as ``[a] pest of potential 
economic significance to the area endangered by it and not yet present 
there, or present but not widely distributed there and being officially 
controlled.''
    One commenter noted that the RMD says 9 pests of quarantine 
significance were identified, but the PRA lists 10. The commenter asked 
for an explanation of this apparent discrepancy.
    The PRA acknowledges that CBS could follow the pathway, and is a 
quarantine pest, but then cites the 2010 PRA, which determined that, 
even in the absence of packinghouse procedures, fruit is an 
``epidemiologically insignificant'' pathway for CBS, and the conditions 
that would allow for transmission from fruit are nearly impossible to 
occur, even in the absence of standard packinghouse procedures. The RMD 
looked at commercially produced fruit, that is, fruit subject to 
packinghouse procedures and standard industry practices. This led us to 
drop CBS from the list of quarantine pests.
    One commenter noted that in section 1 of the RMD, guidelines for 
growers participating in the program are mentioned as needing to be 
followed. The commenter asked what these guidelines are.
    In the RMD, we explain that these are pest control guidelines that 
a place of production may need to meet in order to qualify for 
registration with SENASA.
    One commenter asked if the operational workplan will contain only 
SENASA's requirements.
    Generally, the operational workplan pertains to APHIS, the NPPO of 
the exporting region, and growers, packinghouses, and persons 
commercially involved in chain of production. It contains details that 
are necessary for day-to-day operations needed to carry out provisions 
of the rule and RMD. This one will be no different.
    One commenter asked what SENASA's requirements are under the 
operational workplan.
    SENASA's requirements include everything specified within the RMD: 
Registration; regular inspections; pest control guidelines; and 
inspections to determine that treatment guidelines are being adhered 
to.
    Additionally, Argentina has place of production requirements apart 
from APHIS' requirements that pertain to all citrus groves in the 
country. These include sanitary guidelines that are developed in 
consultation with Argentine subject matter experts and address 
regulated nonquarantine pest populations that could affect 
marketability of the citrus.
    One commenter noted that the RMD specifies that SENASA must ensure 
that growers are following the ``export protocols.'' The commenter 
asked what those protocols are, and stated that they should be made 
available for public review and comment.
    The protocols are conditions for export established by APHIS in the 
operational workplan. The RMD and the regulatory requirements derived 
from it include a general description of all the phytosanitary measures 
necessary to mitigate pest risk. The operational workplan specifies 
details that are necessary for day-to-day operations needed to carry 
out provisions of the rule and RMD. Operational workplans are available 
to the public upon request only after a rule has been finalized and the 
operational workplan has been signed by APHIS and the NPPO of the 
exporting country. With respect to consulting with stakeholders, APHIS 
typically conducts outreach and consultation during the risk assessment 
and management phases.
    One commenter stated that section 16 of the RMD should specify that 
fruit fly detections must fall below a threshold before a registered 
place of production can resume shipping.
    Immature lemons are a poor host of Medfly. Because of this, 
prevalence levels at a place of production are not germane to whether 
Medfly are more likely to follow the pathway on immature Argentine 
lemons, and it would be incommensurate with risk to cut off a place of 
production based on Medfly detections.
    This policy is consistent with our existing importation 
requirements for lemons from other countries that have Medfly. We have 
no reason to believe these existing requirements have been ineffective.
    One commenter stated that places of production should be suspended 
if B. chilensis is found on the lemons during NPPO inspections.
    In the RMD, we said place of production ``may be suspended'' and 
are ``subject to suspension'' out of recognition that the investigation 
could determine that the fruit was clean when it left the orchard, and 
the pest was introduced later in the production chain.
    Two commenters noted that the rule doesn't contain mitigations for 
CVC and its vectors. The commenters expressed concern that potential 
vectors could transmit CVC if they were allowed to hitchhike on 
exports.
    Glassy-winged sharpshooters are the vector of concern for CVC. They 
are the subject of consistent surveys and are not in northwest 
Argentina. Were they to

[[Page 94223]]

spread into northwest Argentina, the sharpshooters would be removed by 
washing and brushing and standard packinghouse procedures. 
Additionally, as external feeders, they are easy to detect during 
phytosanitary inspections and/or port of entry inspections. Finally, 
CVC cannot follow the pathway of lemons in the absence of a vector.
    One commenter noted that the RMD concludes that seeds are unable to 
transmit CVC directly. The commenter stated that this directly 
contradicts the regulations in 7 CFR 319.37-2, which consider CVC to be 
seed-transmitted.
    A Federal Order published on May 19, 2016, relieved restrictions on 
citrus seed for CVC. The Federal Order is available on the APHIS Web 
site at https://www.aphis.usda.gov/import_export/plants/plant_imports/federal_order/downloads/2016/2016-31.pdf. A rule codifying this Federal 
Order is in development. The citrus seed pest list prepared in November 
2015 is referenced in this Federal Order. The pest list contains our 
current thinking about the transmissibility of CVC and other citrus 
diseases via seed.
    Four commenters expressed concern that the rule does not contain 
mitigations for HLB.
    APHIS has examined whether fruit is a pathway for HLB, and 
determined that HLB is not transmitted via fruit. Therefore, 
mitigations for HLB are not necessary.
    One commenter stated that APHIS should not trust SENASA on the 
scope of the HLB outbreak in Argentina.
    Neither the severity of the HLB outbreak in Argentina, nor its 
distribution, affect whether HLB-specific mitigations need to be 
included in the rule. As we explained above, HLB is not transmitted via 
fruit.
    The same commenter stated that APHIS should not trust SENASA on 
distribution of Asian citrus psyllid (ACP), a vector of HLB, in 
Argentina.
    The distribution of ACP in Argentina is not necessary for us to 
evaluate the risk of it following the pathway via the importation of 
lemons. As documented in the PRA, standard packinghouse procedures will 
remove ACP from the fruit. Only commercially produced fruit, which is 
subject to such procedures and will therefore be free of ACP, can be 
exported to the United States.
    One commenter stated that the PRA should include information about 
distribution of HLB in Argentina.
    APHIS does not consider this information to be necessary, given 
that HLB is not transmitted via fruit.
    One commenter expressed several concerns about CBS. The commenter 
stated that CBS is impossible to eradicate once introduced, that it can 
have a lengthy latency period, and that trees infected with CBS are 
unmarketable.
    APHIS notes that we never questioned the quarantine significance of 
CBS, just its ability to become established via fruit.
    One commenter stated that justifications in the PRA for why CBS 
will not follow the pathway are not accurate. The commenter stated that 
the PRA assumes farmers in Argentina all farm in the same intensive 
manner.
    The commenter is mistaken. In the systems approach for Argentina 
lemons, we have incorporated the same mitigations for CBS for that we 
are using for Florida citrus. These mitigations are based on a separate 
scientific review, which can be viewed on the APHIS Web site at https://www.aphis.usda.gov/plant_health/plant_pest_info/citrus/downloads/black_spot/cbs-risk-assessment.pdf.
    Several commenters stated that APHIS erred in determining that CBS 
cannot follow the pathway on fruit. Another commenter expressed concern 
that CBS could become established in Southern California if infected 
fruit arrived at and were distributed through the Port of Long Beach.
    Both Paul et al.\6\ and Magarey and Holtz \7\ ran infection models 
which found California's climate, including that of Southern 
California, unsuitable for establishment of CBS. While isolated 
microclimates in Southern California could result in small pockets of 
CBS infection, the overall climatic conditions are unsuitable to 
establishment and spread.
---------------------------------------------------------------------------

    \6\ Paul, I., van Jaarsveld, A.S., Korsten, L., & Hattingh, V. 
(2005). The potential global geographical distribution of citrus 
black spot caused by Guignardia citricarpa Kiely: likelihood of 
disease establishment in the European Union. Crop Protection, 24, 
297-308.
    \7\ Magarey, R., Chanelli, S., & Holtz T. (2011). Validation 
study and risk assessment: Guignardia citricarpa, (citrus black 
spot). USDA-APHIS-PPQ-CPHST-PERAL/NCSU.
---------------------------------------------------------------------------

    One commenter stated that APHIS did not take into account either 
the reality of the residential yards in Southern California, or the 
numerous interceptions of Argentine citrus for CBS symptoms in 
shipments to the EU in the years since 2010.
    These two facts do not affect the conclusion on the 2010 PRA that 
the establishment of the disease via the movement of fruit requires a 
combination of biological and climatic conditions that are unlikely to 
occur.
    One commenter stated that the spread of CBS in Florida could be 
indicative of errors in the 2010 PRA.
    The PRA found Florida's environment to be conducive to the spread 
of CBS, and examined only transmission via fruit. The spread of CBS 
within Florida could have occurred through a pathway other than fruit, 
and is not in itself indicative of errors in the 2010 PRA.
    One commenter stated that the EU Food Safety Commission in 2014 
issued a scientific opinion which deemed the risk of entry of the 
causal agent of CBS as moderately likely for citrus fruit without 
leaves.
    APHIS notes that the proposed conditions for importation of lemons 
from northwest Argentina are the same as the conditions we apply to 
export citrus from the United States. We also note that the causal 
organism of CBS has two life cycle stages: A sexual stage represented 
by the ascospores of Guignardia citricarpa Kiely and an asexual stage 
represented by the pycnidiospores of P. citricarpa (McAlpine). These 
two stages are produced at different times, under different 
environmental conditions, at different locations on the plant and 
result in different epidemiological dynamics. The sexual stage of the 
disease may be found in plants and leaves; the asexual stage of the 
disease is found on fruit. The correlation between ascospore discharge 
and infection onset showed that pycnidiospores, the asexual stage, do 
not play a significant role in the disease cycle. For this reason fruit 
is not considered to be a pathway for CBS.
    Several commenters asked how, if we do not know how CBS got into 
Florida, we know it cannot follow the pathway on fruit.
    The PRA examined the biological and climatic conditions necessary 
for establishment of CBS through infected fruit, and determined that 
``the establishment of the disease via this pathway [the movement of 
fruit] requires a combination of biological and climatic conditions 
that are unlikely to occur.'' It is important to acknowledge, as the EU 
scientific opinion did, that there are many possible pathways for the 
introduction of CBS, with some (such as smuggling of nursery stock) 
significantly more likely to result in establishment.
    One commenter asked what circumstances would compel APHIS to 
require further mitigations for CBS in Argentina's packinghouses, and 
what mitigation steps it would be willing to institute in those 
circumstances.
    We have considered the risk of CBS and how to mitigate it. Standard 
packinghouse procedures, including washing, brushing, disinfecting, 
treating, and waxing, address that risk

[[Page 94224]]

effectively. Under the circumstances, we do not believe further 
mitigations are needed.
    One commenter stated that the rule should restrict exports to areas 
of northwest Argentina that are free of CBS.
    For the reasons discussed above, we do not consider this necessary.

Comments on Specific Provisions of the Proposed Rule

    One commenter asked why the Provinces of Catamarca and Jujuy were 
included in the rule when they are not major lemon-producing regions.
    As we explained in the proposed rule, SENASA asked for market 
access for these provinces. We therefore included them in the PRA and 
found that lemons could be safely exported from these provinces subject 
to the conditions described in the proposed rule.
    One commenter stated that Brevipalpus spp. should not be listed as 
quarantine pests, but that citrus leprosis virus should be listed as a 
quarantine pest.
    Citrus leprosis virus is not systemic. It could not be introduced 
into the United States, unless vectored by Brevipalpus spp. mites. For 
this reason we consider the mites to be quarantine pests.
    One commenter stated that the details of the operational workplan 
need to be included in the regulations or otherwise made publicly 
available.
    As we explained above, the mitigations in the operational workplan 
are the same as in the RMD and the rule. The operational workplan 
specifies details for day-to-day operations that are needed to carry 
out provisions of the rule and the RMD. As a result, operational 
workplans are living documents that change periodically to reflect new 
technologies and operational realities in the field.
    One commenter asked what constitutes ``direct involvement'' in 
implementation and monitoring of the operational workplan.
    The operational workplan provides APHIS with the standard operating 
procedures that the NPPO, places of production, packinghouses, and 
others involved in the production of the fruit will follow as part of 
the export program. Our oversight will include routine reviews and 
inspections of the program, but not continual oversight. That would be 
tantamount to mandatory preclearance program, which we do not consider 
necessary. The frequency with which we conduct site visits and review 
export program records will increase if any pest concerns are 
identified.
    One commenter stated that a trust fund agreement to pay for APHIS 
personnel may be necessary.
    A trust fund agreement is associated with preclearance programs in 
which there is continual APHIS oversight, which we do not consider 
warranted here.
    One commenter stated that registration requirements should extend 
to contiguous orchards to mitigate the chance of contamination of the 
place of production during harvest after the initial freedom 
certification.
    APHIS does not consider this to be necessary. As discussed above, 
the Brevipalpus spp. mites that exist in Argentina do not balloon--that 
is they do not produce streamers of silk and travel with wind currents 
for longer distances--and have limited mobility. It is unlikely that 
they could infest contiguous orchards after the initial freedom 
certification.
    One commenter stated that registering small places of production 
may increase pest risk.
    We disagree that small places of production may represent a higher 
pest risk than large ones. In order to be registered with the NPPO and 
participate in the export program, the NPPO (and, as warranted, APHIS) 
must determine that the place of production or packinghouse is able to 
adhere to the systems approach. This is true regardless of the size of 
the place of production or packinghouse. Routine inspections by the 
NPPO, and the possibility of monitoring by APHIS, will corroborate 
ongoing maintenance of systems approach provisions at registered places 
of production and packinghouses.
    We proposed to require lemons from Argentina to be harvested green 
and within the time period of April 1 and August 31. If the lemons are 
harvested yellow or harvested outside of that time period, they would 
have to be treated for Medfly in accordance with 7 CFR part 305 and the 
operational workplan. Two commenters asked how we would determine 
whether a lemon was green or not.
    In the ARS study that determined that lemons are a conditional non-
host of Medfly, the term ``yellow'' was used interchangeably with 
``mature.'' Immature lemons were considered to be a poor host. For 
purposes of the systems approach, we consider any lemon that is not 
green as ripe enough to require cold treatment. We are using additional 
ARS research \8\ and a market standard on lemon color to determine if 
lemons are green.
---------------------------------------------------------------------------

    \8\ Jang, E.B., R.L. Mangan, D.M. Obenland, M.L. Arpaia, and R. 
Rice. (undated). Defining Host Status of California Grown Lemons to 
Fruit Fly Infestation (PowerPoint Presentation). USDA-Agricultural 
Research Service and University of California. 8 pp.
---------------------------------------------------------------------------

    Two commenters asked who will determine whether a lemon is green or 
yellow. One commenter asked where this determination will be made. That 
commenter also stated that APHIS employees should make the 
determination.
    In Argentina, lemons are evaluated for color and graded as part of 
packinghouse procedures. The determination for color and grade is made 
by graders employed by SENASA.
    One commenter stated that the finding that green fruit is harvested 
from March to May in Argentina appears to be based on 2007 information, 
which is outdated.
    When green fruit is harvested in Argentina is irrelevant to the 
conclusions of the PRA. As we explained in the proposed rule, lemons 
that are harvested yellow would have to be treated for Medfly, 
regardless of the time of year in which they are harvested.
    One commenter stated that the RMD and rule should be consistent 
with regard to when lemons do not need treatment.
    The commenter seems to believe that there is a discrepancy between 
the RMD and the proposed rule because the requirement is phrased 
slightly differently, but this is not the case. Both the proposed rule 
and the RMD specify that a lemon must be green and shipped within the 
April-August window in order to avoid treatment.
    One commenter expressed concern that the use of the term 
``safeguarded'' in Sec.  319.56-76(a)(8) is too vague. The commenter 
stated that the words ``and protected from fruit fly infestation'' 
should be inserted after the word ``safeguarded'' in that paragraph.
    APHIS disagrees that this addition is necessary. We use the term 
``safeguarded'' throughout the regulations to mean that fruit must be 
protected from infestation, or, in the case of treated fruit, 
reinfestation, by quarantine pests.
    One commenter asked whether trucks and workers would be sanitized 
in between uses for U.S. exports and other uses, and if not, why not.
    Packinghouse workers are required to wash their hands and wear 
clean protective clothing every time they enter the packinghouse. The 
fruit never touches the trucks; it is harvested and brought to the 
packinghouse in bins that are disinfected after each use. Fruit for

[[Page 94225]]

export is shipped in clean new boxes. Old shipping boxes are never 
reused.
    Several commenters asked how APHIS will determine pest-free places 
of production for B. chilensis, given that Argentine production for 
fresh consumption and processing is intermixed.
    While B. chilensis exists in Argentina, there is no evidence that 
it exists in northwest Argentina. This is based on extensive and 
ongoing documentation SENASA has provided to APHIS. Due to the absence 
of B. chilensis in northwest Argentina, the intermixing of fresh and 
processed production sites in that area does not have a bearing on 
whether a site is pest-free for B. chilensis.
    It is worth noting that we have no evidence that Argentine 
producers designate specific sites for fresh or processed production 
and use different production practices based on the intended use of the 
lemons. Rather, as a result of grading during packinghouse inspections, 
highly graded lots are designated for the fresh market, while the rest 
of the fruit goes to processing and other uses.
    That being said, the rule specifies that APHIS will monitor 
implementation of the systems approach. This includes monitoring the 
distribution of B. chilensis in Argentina. If the distribution changes, 
we note that there are still several safeguards that would address the 
commenter's concern. First, the place of production must be inspected 
regularly by the NPPO of Argentina; these inspections would include 
inspections for B. chilensis. Second, the place of production must 
adhere to any pest control or management practices specified by APHIS 
and/or SENASA. An orchard that was in an area in which B. chilensis is 
known to occur, and in proximity to an orchard not participating in the 
export program, would be subject to management practices to address 
this risk. Finally, registration of places of production allows for 
traceback and quick remediation if infested fruit is discovered later 
in the production chain.
    One commenter stated that APHIS should ask SENASA to prepare a 
grid-type schematic that shows the location of processed orchards as 
compared with orchards where fruit is grown for the fresh export 
market. The commenter stated that this analysis is essential, and that 
if SENASA will not prepare it, then APHIS should prepare it.
    The grid suggested by the commenter is not possible. Orchards in 
Argentina are not designated for a particular type of production. 
Rather, as we explained above, lots are designated based on grading 
conducted in packinghouses.
    Two commenters stated that the biometric sampling protocol for B. 
chilensis is insufficient.
    APHIS disagrees. Mites have limited mobility. The commenters are 
referring to the fact that some species of mites are known to travel 
longer distances by ballooning, where the mites produce streamers of 
silk and travel with wind currents for longer distances. According to 
Childers and Rodrigues (2011), Brevipalpus mites do not produce silk 
and therefore are not capable of ballooning. Childers and Rodrigues 
indicate there is some evidence that these mites can blow from heavily 
infested plants downwind to nearby plants. They do not present evidence 
of long distance movement of Brevipalpus mites by the wind.
    B. chilensis mites in Argentina are associated with the wine grape 
industry in the state of Mendoza (approximately 1,000 miles south of 
the region where lemons are produced). They are not present in 
Tucum[aacute]n where most of the export lemons in Argentina are grown, 
nor, again, is there any evidence of their presence in the whole 
northwestern region.
    The systems approach for B. chilensis is based on the pest's 
limited mobility. This systems approach has similarly been used in 
Chile for citrus for many years without interceptions of this mite in 
commercial shipments. In addition to the place of production 
inspection, every shipment of lemons to be exported will also be 
inspected for mites with the same wash technique. If mites are found on 
any shipment, that place of production will be removed for the rest of 
the export season.
    One commenter stated that APHIS only described the B. chilensis 
protocol, without providing evidence of its adequacy. The commenter 
further stated that the lack of interceptions of the mite on fruit that 
has entered the United States from Chile is not sufficient evidence for 
the effectiveness of the protocol. Another commenter stated that there 
is no literature of evidence that suggests the protocol is effective.
    APHIS disagrees. Mites and other small organisms have been studied 
by collecting them from their habitat through sieves that concentrate 
them. Southwood and Henderson in their classic textbook Ecological 
Methods \9\ devote chapters to this method of sampling.
---------------------------------------------------------------------------

    \9\ Southwood, T.R.E., & Henderson, P.A. (2009). Ecological 
Methods. John Wiley & Sons.
---------------------------------------------------------------------------

    This method of sampling has been used since the 18th century; use 
of Berlese funnels and sieves is ubiquitous in sampling mites and other 
small organisms in various habitats. The agricultural quarantine and 
inspection data that APHIS collects routinely suggests that this 
method, which has been used for almost 20 years by APHIS as a 
mitigation measure, has been very effective in detecting B. chilensis 
mites on fruit from Chile.
    One commenter stated that it is impossible to know whether 100 
samples is sufficient without knowing the size of places of production.
    Regardless of the size of the orchard, 100 samples provides 95 
percent confidence of a 3 percent infestation rate. This confidence 
level is sufficient given that B. chilensis is not known to exist 
within 1,000 miles of northwest Argentina and, biologically, tends to 
aggregate once established. APHIS believes that the overlapping 
protections of routine visual inspections, NPPO surveying for B. 
chilensis spread, and the biometric protocol provide a sufficient 
degree of phytosanitary protection.
    One commenter stated that the B. chilensis biometric sampling 
protocol is not based on the biology of B. chilensis. The commenter 
stated that other species of Brevipalpus are known to have particular 
habitat preferences within a tree, such as the most shaded, humid areas 
(Childers & Rodrigues 2011). The commenter stated that if something 
like this is the case for B. chilensis, then a targeted survey, rather 
than biometric survey of the place of production, is needed to 
determine prevalence.
    APHIS disagrees. Mites, including B. chilensis, reproduce and build 
up populations in a small area because of their limited dispersal 
capability. The sampling distribution is based on the premise that if 
one mite is found, there is a high probability that another mite is 
nearby. This is called an aggregated distribution. This probability 
distribution (or variation), is called hypergeometric, or negative 
binomial, and can be used to model the distribution of most insects and 
mites.
    Very few insects and mites do not have aggregated distributions, 
and there is no evidence that B. chilensis does not have aggregated 
distributions. The production site survey is a targeted survey; the 
samples are taken from the leaves which is where the mite populations 
are highest. We note, moreover, that this survey is presently strictly 
precautionary. There is no evidence of B. chilensis in northwest 
Argentina.
    Two commenters stated that biometric sampling may miss immature B. 
chilensis mites.

[[Page 94226]]

    The mite exists in populations that contain eggs, immature stages, 
and adults. Only the adults can be identified reliably through 
microscopic examination of the filtrate from the sieve. The sieve will 
collect adult mites. The likelihood of only eggs or nymphs being 
present is very low, so APHIS can use the sieve sampling method to 
reliably detect populations of mites at production sites. APHIS will be 
requiring a number of samples and the probability that only eggs and 
larvae of the target mite would be present in all of the samples is 
very low. Moreover, if one sample detects adult B. chilensis mites, the 
production site will not be certified B. chilensis free.
    One commenter asked how APHIS determined the efficacy of Chilean 
citrus protocol.
    As we state in the RMD, our determination was based on the absence 
of detections of infested fruit in the export pathway over almost 20 
years.
    One commenter questioned whether it is appropriate to compare the 
citrus-growing area that exists in Chile to the growing areas in 
Northwest Argentina for purposes of dealing with Brevipalpus spp. 
mites. The commenter noted that the growing area in Argentina is much 
larger than the growing area in Chile, and stated that the growing area 
in Argentina has high rainfall and high humidity, while the growing 
area in Chile typically has low rainfall and low humidity. The 
commenter stated that the difference in climate makes the growing area 
in Argentina hospitable to certain pathogens, but did not specify which 
ones.
    The commenter is mistaken about the climate in northwest Argentina. 
The scientists at the Obispo Columbres Agroindustrial Station, SENASA, 
and the lemon growers in Tucum[aacute]n told us that northwest 
Argentina does not have high rainfall. On the contrary, rainfall is low 
and the lemon groves are often irrigated. Therefore, the mite 
populations should face similar climates in the citrus growing portions 
of Chile and the lemon growing parts of northwest Argentina. During the 
September 2016 site visit, we asked the scientists at the Obispo 
Columbres Agroindustrial station about the mites. They said that they 
had found two of the three Brevipalpus mite species (not B. chilensis) 
in the lemon production areas in northwest Argentina, but that they 
were not common. Further, the hot dry conditions favor mites more than 
rainy humid conditions. The mitigations for Brevipalpus mites should 
not be affected by any climate differences, which appear to be minimal.
    One commenter stated that the protocol for citrus from Chile 
includes species of citrus that may be less hospitable to B. chilensis.
    APHIS notes that the protocol for mites from Chile also includes 
fruit that are better hosts than lemons. The sampling method for 
determining low prevalence works regardless of mite populations on the 
host fruit.
    Two commenters stated that surveying for B. chilensis around 
production sites is necessary because if there are high populations in 
the vicinity, or if wind is a strong factor in dispersal, mites are 
likely to be constantly moving into the orchard.
    As noted above, B. chilensis are a generalist pest, and tend to 
aggregate. The likelihood of B. chilensis in a neighboring orchard, 
without spillover into the registered production site, is low. 
Accordingly, if mites are in the vicinity, they should be detected 
through routine place of production inspections and the biometric 
sampling protocol.
    One commenter stated that the B. chilensis-specific protocol should 
be extended to all Brevipalpus spp. mites.
    Currently Argentina is sampling for B. chilensis and the three 
Brevipalpus spp. mites that are potential vectors for citrus leprosis 
virus. We are only requiring pest free place of production for B. 
chilensis, because B. chilensis is itself a quarantine pest. We are 
requiring consignment freedom (by inspection of harvested fruit) for 
all of the mites. Brevipalpus species other than B. chilensis are only 
considered quarantine pests if they are carrying the citrus leprosis 
virus. The probability of movement of the citrus leprosis pathogen from 
an infected tree in Argentina to a suitable host in the United States 
via a Brevipalpus mite traveling on a lemon fruit is extremely low, and 
require several additional steps to acquire and spread the pathogen so 
we are not requiring production site freedom.
    One commenter stated that the B. chilensis protocol should be 
extended to surrounding areas of production.
    As we explained above, B. chilensis is not found within 1,000 miles 
of northwest Argentina, has low powers of mobility, and tends to 
aggregate. If it is not found in a registered place of production 
during routine surveys conducted by the NPPO to evaluate pest spread, 
as well as routine harvest inspections and two separate biometric 
samples associated with the systems approach, we are confident that it 
will not be on fruit for export.
    One commenter stated that production sites should be inspected for 
B. chilensis throughout the harvest season.
    If mites were found in a consignment at a packinghouse, the 
originating production site would lose its free status. For this reason 
it is not necessary to inspect production sites throughout the harvest 
season.
    One commenter stated that the B. chilensis protocol should include 
surveying for citrus leprosis virus.
    Symptoms of citrus leprosis virus are easy to detect, and fruit 
with such symptoms will be detected during standard packinghouse 
culling and phytosanitary inspections.
    One commenter stated that fallen fruit should be cut and inspected 
for Medfly.
    This effectively calls for place of production freedom for Medfly. 
APHIS notes that in the RMD, fallen fruit are specifically forbidden 
from being included in harvested fruit going to the packinghouse for 
fresh market. For this reason, we do not consider it necessary to 
sample fallen fruit for fruit flies or any other pest.
    One commenter stated that trapping requirements for Medfly need to 
be delineated in the rule itself.
    Historically, we have put trapping requirements in operational 
workplans, rather than rules, to allow flexibility in trapping 
protocols in order to respond to variations in population densities 
from season to season, as well as the development of new lure and bait 
technologies.
    One commenter stated that trapping should be at least 50 percent 
with trimedlure and the other 50 percent should be baited with either 
3-component or protein bait.
    APHIS notes that both the 3-component bait and the protein bait are 
far less powerful lures for fruit flies than trimedlure, a pheromone. 
The trimedlure will draw flies in from farther away and is a more 
sensitive detection system. Trimedlure will also attract males and 
unmated females, which will make up a significant portion of any fruit 
fly population. The only thing that the protein or 3-component baits 
will attract is mated females, and if they are present then males and 
unmated females should also be present and will have already been 
detected by the more powerful trimedlure.
    One commenter asked for greater detail about the requirements for 
packinghouses. The commenter specifically asked whether an entire 
facility would be included as a packinghouse, how many facilities would 
pack lemons for the U.S. market and what volume could a dedicated 
packinghouse expect to process.

[[Page 94227]]

    A packinghouse has to be an entire facility. APHIS is aware of a 
few packinghouses that would serve as primary packinghouses; however, 
all packinghouses would be registered with the NPPO. Both the NPPO and 
APHIS will monitor packinghouses during routine inspections.
    One commenter asked how large a consignment of lemons could be, and 
if there will be a limit on the size of consignments.
    Consignments can vary in size. However, regardless of the size of 
the consignment, the sampling protocol is aimed at detecting a 3 
percent infestation rate with at least 95 percent confidence.
    One commenter asked how a biometric sample was defined.
    The term `biometric sampling' simply means that the sample size 
that is smaller than a straight 2 percent sample can be used to detect 
pests on large consignments of the commodity. Taking a biometric sample 
is more efficient than taking a straight percentage sample.
    One commenter stated that the number of samples inspected should be 
600. The commenter stated that this is consistent with what other 
countries require from U.S. growers.
    APHIS disagrees that the number of samples inspected should be 600. 
One hundred samples is consistent with the Chilean protocol, which has 
been effective at precluding infested fruit from being shipped. 
Inspecting an additional 500 fruit per sample does not substantially 
impact the probability of finding an infestation, and would be 
significantly more resource-intensive.
    One commenter asked if the same method will be used to inspect for 
B. chilensis as is used for the production site protocol.
    Yes, the same method will be used for both production sites and 
packinghouses.
    One commenter asked about the efficacy data for post-harvest 
inspections.
    Post-harvest inspections by the NPPO of an exporting country are a 
long-standing phytosanitary measure that APHIS employs as part of 
market access requirements. The safe importation of thousands of 
foreign commodities into the United States over a prolonged period of 
time is an indication of its efficacy as a phytosanitary measure.
    One commenter stated that fruit that is infested with Medfly larvae 
should be prohibited from being shipped.
    APHIS disagrees. In the event that a single immature Medfly is 
found in or with the lemons, then the lemons must be treated in 
accordance with part 305 of the regulations and the operational 
workplan using a cold treatment. This cold treatment has been shown to 
be effective at mitigating the risk of Medfly in lemons. Additionally, 
the registered place of production that produced the lemons in the 
consignment may be suspended from the export program, pending an 
investigation.
    One commenter stated that remedial actions should be identical, 
regardless of quarantine pest detected.
    The remedial action when quarantine pests are detected is that the 
fruit cannot be exported. Some findings of quarantine pests also 
disqualify production sites because the mitigation requires the 
production site to be a pest-free place of production.
    One commenter noted that the rule referred to CBP inspectors, but 
the supporting documents refer to APHIS inspectors. The commenter asked 
for clarification as to who will conduct port of entry inspections.
    CBP conducts inspections at ports of entries pursuant to authority 
delegated to APHIS. The use of CBP employees to carry out functions 
specifically delegated to APHIS is authorized by the Homeland Security 
Act of 2002. Because CBP is effectively acting as agents of APHIS for 
the purposes of these inspections, we use the term ``APHIS.'' These 
inspections sample imported commodities for evidence of pests. If pests 
are detected, APHIS identifiers will be used to positively identify the 
pests.
    One commenter asked whether port of entry inspections would include 
biometric sampling for Brevipalpus mites. The commenter also asked how 
CBP would be able to detect the mites.
    The B. chilensis protocol is used to establish place of production 
freedom, and is also used as part of the phytosanitary inspection by 
the NPPO. Port of entry inspection for B. chilensis and other 
Brevipalpus mites will look for the pests, as well as signs and 
symptoms of infestation, such as bronzing.
    One commenter asked why, if information from port of entry 
inspections is ``unreliable,'' they can be stated to be effective.
    ``Not be detected at the port of entry'' was removed as a criterion 
in the PRA because we do not have enough information about relative 
likelihood of detection at the port of entry to be able to weight this 
criterion relative to other elements. As a result, this criterion could 
not substantially impact the risk ratings. This does not imply that 
port of entry inspections are an ineffective component of a systems 
approach.
    One commenter stated that the rule should specify how APHIS will 
monitor and enforce the systems approach. The commenter expressed 
concern that APHIS would have to commit substantial resources to ensure 
compliance with the operational workplan.
    This request is predicated on the stated assumptions that SENASA 
lacks the ability and intent to abide by systems approach requirements. 
For reasons discussed above, we disagree with those assumptions.
    One commenter stated that APHIS should require cold treatment of 
lemons from northwest Argentina.
    This approach would not impose the least restrictive science-based 
actions needed to address plant pest risk, and thus would be 
inconsistent with our obligations under the SPS agreement.
    One commenter stated that the rule should prohibit the importation 
of lemons from northwest Argentina into Florida. The commenter also 
stated that the rule should limit importation of lemons to areas north 
of the 38th parallel.
    We have determined, for the reasons described in the RMD that 
accompanied the proposed rule, that the measures specified in the RMD 
will effectively mitigate the risk associated with the importation of 
lemons from northwest Argentina. The commenter did not provide any 
evidence suggesting that the mitigations are not effective. Therefore, 
we are not taking the action requested by the commenter.
    Two commenters expressed concern that Argentine producers may use 
pesticides or practices that are not authorized in the United States.
    We note that the Food and Drug Administration (FDA) of the 
Department of Health and Human Services regulates the pesticide, 
herbicide, and fertilizer residues that may be present on imported 
fruits and vegetables intended for human consumption. If illegal 
pesticides are detected, FDA will take action to remove them from the 
marketplace. Additionally, we note that the packinghouse disinfectants 
and treatments for pathogens that we are proposing for Argentina are 
the same used domestically.
    One commenter stated that importing lemons from Argentina will 
involve carbon dioxide emissions that should be available to the 
consumer as they purchase the lemons. The commenter stated that the 
lemons should be labeled with the pounds of carbon dioxide emitted per 
pound of lemons.
    This request is outside the scope of APHIS' statutory authority.

[[Page 94228]]

    Therefore, for the reasons given in the proposed rule and in this 
document, we are adopting the proposed rule as a final rule, with minor 
editorial changes.

Executive Order 12866 and Regulatory Flexibility Act

    This final rule has been determined to be not significant for the 
purposes of Executive Order 12866 and, therefore, has not been reviewed 
by the Office of Management and Budget.
    In accordance with 5 U.S.C. 604, we have performed a final 
regulatory flexibility analysis, which is summarized below, regarding 
the economic effects of this rule on small entities. Copies of the full 
analysis are available on the Regulations.gov Web site (see footnote 1 
in this document for a link to Regulations.gov) or by contacting the 
person listed under FOR FURTHER INFORMATION CONTACT.
    This analysis examines potential economic impacts of a rule that 
will allow the importation of fresh lemons from a region in Northwest 
Argentina into the continental United States. A systems approach to 
pest risk mitigation will provide phytosanitary protection against 
pests of quarantine concern. Both U.S. producers and consumers will be 
affected by the rule. While producers' welfare will be negatively 
affected, welfare gains for consumers will outweigh producer losses, 
resulting in a net benefit to the U.S. economy.
    Commercial lemon production takes place in California and Arizona. 
For the 2014/15 season, lemon-bearing acres totaled 55,300 (California 
47,000, Arizona 8,300). In the same season, the value of U.S. 
production of lemons was $694 million. Over the production seasons 
2008/09 to 2014/15, U.S. fresh lemon production averaged 535,244 metric 
tons (MT) per year. Over the same period, annual imports averaged 
49,995 MT and exports averaged 101,849 MT. Because lemons imported from 
Argentina that are harvested green between April 1 and August 31 will 
not require treatment for Medfly, we expect that most will be imported 
during this period, which coincides roughly with the months in which 
U.S. lemon exports are declining and imports are increasing.
    Effects of the rule are estimated using a partial equilibrium model 
of the U.S. lemon sector. Annual imports of fresh lemon from Argentina 
are expected to range between 15,000 and 20,000 MT, with volumes 
averaging 18,000 MT. Quantity, price and welfare changes are estimated 
for these three import scenarios.
    If the United States imports 18,000 MT of fresh lemon from 
Argentina and there is no displacement of lemon imports from other 
countries, we estimate that the price (custom import value) of fresh 
lemon will decrease by about 4 percent. Consumer welfare gains of $22.4 
million will outweigh producer welfare losses of $19.9 million, 
resulting in a net welfare gain of $2.5 million. The 15,000 MT and 
20,000 MT scenarios show similar effects.
    More reasonably, partial import displacement will occur, and price 
and welfare effects will be proportional to the net increase in U.S. 
lemon imports. Assuming as an upper-bound that one-half of the quantity 
of fresh lemons imported from Argentina displaces U.S. fresh lemon 
imports from elsewhere, we estimate for the 18,000 MT scenario that the 
price decline will be about 2 percent; consumer welfare gains and 
producer welfare losses will be $11.1 million and $10.0 million, 
respectively, yielding a net welfare benefit of $1.1 million.
    The majority of businesses that may be affected by the final rule 
are small entities, including lemon producers, packers, wholesalers, 
and related establishments.

Executive Order 12988

    This final rule allows lemons to be imported into the continental 
United States from Argentina. State and local laws and regulations 
regarding lemons imported under this rule will be preempted while the 
fruit is in foreign commerce. Fresh lemons are generally imported for 
immediate distribution and sale to the consuming public, and remain in 
foreign commerce until sold to the ultimate consumer. The question of 
when foreign commerce ceases in other cases must be addressed on a 
case-by-case basis. No retroactive effect will be given to this rule, 
and this rule will not require administrative proceedings before 
parties may file suit in court challenging this rule.

Paperwork Reduction Act

    In accordance with section 3507(d) of the Paperwork Reduction Act 
of 1995 (44 U.S.C. 3501 et seq.), the information collection or 
recordkeeping requirements included in this final rule, which were 
filed under 0579-0448, have been submitted for approval to the Office 
of Management and Budget (OMB). When OMB notifies us of its decision, 
if approval is denied, we will publish a document in the Federal 
Register providing notice of what action we plan to take.

E-Government Act Compliance

    The Animal and Plant Health Inspection Service is committed to 
compliance with the E-Government Act to promote the use of the Internet 
and other information technologies, to provide increased opportunities 
for citizen access to Government information and services, and for 
other purposes. For information pertinent to E-Government Act 
compliance related to this rule, please contact Ms. Kimberly Hardy, 
APHIS' Information Collection Coordinator, at (301) 851-2483.

List of Subjects for 7 CFR Part 319

    Coffee, Cotton, Fruits, Imports, Logs, Nursery stock, Plant 
diseases and pests, Quarantine, Reporting and recordkeeping 
requirements, Rice, Vegetables.

    Accordingly, we are amending 7 CFR part 319 as follows:

PART 319--FOREIGN QUARANTINE NOTICES

0
1. The authority citation for part 319 continues to read as follows:

    Authority:  7 U.S.C. 450, 7701-7772, and 7781-7786; 21 U.S.C. 
136 and 136a; 7 CFR 2.22, 2.80, and 371.3.


0
2. Section 319.28 is amended as follows:
0
a. In paragraph (a)(1), by removing the words ``(except for the States 
of Catamarca, Jujuy, Salta, and Tucuman, which are considered free of 
citrus canker)''.
0
b. In paragraph (a)(2), by removing the word ``Argentina,''.
0
c. By redesignating paragraphs (e) through (i) as paragraphs (f) 
through (j), respectively, and adding a new paragraph (e).
0
d. In newly redesignated paragraph (h), the words ``paragraphs (b) 
through (e)'' are removed and the words ``paragraphs (b) through (f)'' 
are added in their place.
    The addition reads as follows:


Sec.  [thinsp]319.28  Notice of quarantine.

* * * * *
    (e) The prohibition does not apply to lemons (Citrus limon (L.) 
Burm. f.) from northwest Argentina that meet the requirements of Sec.  
[thinsp]319.56-76.
* * * * *

0
3. Section 319.56-76 is added to read as follows:


Sec.  [thinsp]319.56-76  Lemons from northwest Argentina.

    Fresh lemons (Citrus limon (L.) Burm. f.) may be imported into the 
continental United States from northwest Argentina (the Provinces of 
Catamarca, Jujuy, Salta, and Tucum[aacute]n) only under the conditions 
described in this section. These conditions are designed to prevent the 
introduction of the

[[Page 94229]]

following quarantine pests: Brevipalpus chilensis, the Chilean false 
red mite; B. californicus, the citrus flat mite, B. obovatus, the 
scarlet tea mite, and B. phoenicis, the false spider mite (referred to 
in this section as ``Brevipalpus spp. mites''); Ceratitis capitata, the 
Mediterranean fruit fly; Cryptoblabes gnidiella, the honeydew moth; 
Elsino[euml] australis, the causal agent of sweet orange scab disease; 
Gymnandrosoma aurantianum (Lima), the citrus borer; and Xanthomonas 
citri subsp. citri (ex Hasse) Gabriel et al., the causal agent of 
citrus canker disease.
    (a) General requirements--(1) Operational workplan. The national 
plant protection organization (NPPO) of Argentina must provide an 
operational workplan to APHIS that details the activities that the NPPO 
of Argentina and places of production and packinghouses registered with 
the NPPO of Argentina will, subject to APHIS' approval of the workplan, 
carry out to meet the requirements of this section. The operational 
workplan must include and describe the specific requirements as set 
forth in this section. APHIS will be directly involved with the NPPO of 
Argentina in monitoring and auditing implementation of the systems 
approach.
    (2) Registered places of production. The fresh lemons considered 
for export to the continental United States must be grown by places of 
production that are registered with the NPPO of Argentina and that have 
been determined to be free from B. chilensis in accordance with this 
section.
    (3) Registered packinghouses. The lemons must be packed for export 
to the continental United States in pest-exclusionary packinghouses 
that are registered with the NPPO of Argentina.
    (4) Recordkeeping. The NPPO of Argentina must maintain all forms 
and documents pertaining to registered places of production and 
packinghouses for at least 1 year and, as requested, provide them to 
APHIS for review. Based on APHIS' review of records, APHIS may monitor 
places of production and packinghouses, as APHIS deems warranted.
    (5) Commercial consignments. Lemons from Argentina can be imported 
to the continental United States in commercial consignments only. For 
purposes of this section, fruit in a commercial consignment must be 
practically free of leaves, twigs, and other plant parts, except for 
stems less than 1 inch long and attached to the fruit.
    (6) Identification. The identity of the each lot of lemons from 
Argentina must be maintained throughout the export process, from the 
place of production to the arrival of the lemons at the port of entry 
into the continental United States. The means of identification that 
allows the lot to be traced back to its place of production must be 
authorized by the operational workplan.
    (7) Harvesting restrictions or treatment for fruit flies. Lemons 
from Argentina must be harvested green and within the time period of 
April 1 and August 31. If they are harvested yellow or harvested 
outside of this time period, they must be treated for C. capitata in 
accordance with part 305 of this chapter and the operational workplan.
    (8) Safeguarding. Lots of lemons destined for export to the 
continental United States must be safeguarded during movement from 
registered places of production to registered packinghouses as 
specified by the operational workplan.
    (9) Phytosanitary certificate. Each consignment of lemons imported 
from Argentina into the continental United States must be accompanied 
by a phytosanitary certificate issued by the NPPO of Argentina with an 
additional declaration stating that the requirements of this section 
have been met and that the consignments have been inspected and found 
free of Brevipalpus spp. mites, B. chilensis, C. capitata, C. 
gnidiella, and G. aurantianum.
    (b) Place of production requirements. (1) Prior to each harvest 
season, registered places of production of lemons destined for export 
to the continental United States must be determined by APHIS and the 
NPPO of Argentina to be free from B. chilensis based on biometric 
sampling conducted in accordance with the operational workplan. If a 
single live B. chilensis mite is discovered as a result of such 
sampling, the place of production will not be considered free from B. 
chilensis and will not be able to export lemons to the United States. 
Each place of production will have only one opportunity per harvest 
season to be considered free of B. chilensis, and certification of B. 
chilensis freedom will only last one harvest season.
    (2) Places of production must remove plant litter and fallen debris 
from groves in accordance with the operational workplan. Fallen fruit 
may not be included in field containers of fruit brought to the 
packinghouse to be packed for export.
    (3) Places of production must trap for C. capitata in accordance 
with the operational workplan. The NPPO must keep records regarding the 
placement and monitoring of all traps, as well as records of all pest 
detections in these traps, and provide the records to APHIS, as 
requested.
    (4) Places of production must carry out any additional grove 
sanitation and phytosanitary measures specified for the place of 
production by the operational workplan.
    (5) The NPPO of Argentina must visit and inspect registered places 
of production regularly throughout the exporting season for signs of 
infestations. These inspections must start no more than 30 days before 
harvest and continue until the end of the export season. The NPPO of 
Argentina must allow APHIS to monitor these inspections. The NPPO of 
Argentina must also provide records of pest detections and pest 
detection practices to APHIS. Before any place of production may export 
lemons to the continental United States pursuant to this section, APHIS 
must review and approve of these practices.
    (6) If APHIS or the NPPO of Argentina determines that a registered 
place of production has failed to follow the requirements in this 
paragraph (b), the place of production will be excluded from the export 
program until APHIS and the NPPO of Argentina jointly agree that the 
place of production has taken appropriate remedial measures to address 
the plant pest risk.
    (c) Packinghouse requirements. (1) During the time registered 
packinghouses are in use for packing lemons for export to the 
continental United States, the packinghouses may only accept lemons 
that are from registered places of production and that have been 
produced in accordance with the requirements of this section.
    (2) Lemons destined for export to the continental United States 
must be packed within 24 hours of harvest in a registered pest-
exclusionary packinghouse or stored in a degreening chamber in the 
registered pest-exclusionary packinghouse. Lemons must be packed for 
shipment to the continental United States in insect-proof cartons or 
containers, or covered with insect-proof mesh or plastic tarpaulin. 
These safeguards must remain intact until the lemons arrive in the 
United States, or the consignment will not be allowed to enter the 
United States.
    (3) Prior to packing, the lemons must be washed, brushed, and 
surface disinfected for E. australis and X. citri and in accordance 
with the operational workplan, treated with an APHIS-approved 
fungicide, and waxed.
    (4) After treatment, the NPPO of Argentina or officials authorized 
by the NPPO of Argentina must visually inspect a biometric sample of 
each consignment for quarantine pests, wash

[[Page 94230]]

the lemons in this sample, and inspect the filtrate for B. chilensis in 
accordance with the operational workplan. A portion of the lemons must 
then be cut open and inspected for evidence of quarantine pests.
    (i) If a single C. gnidiella or G. aurantianum in any stage of 
development is found on the lemons, the entire consignment is 
prohibited from export to the United States, and the registered place 
of production that produced the lemons is suspended from the export 
program until APHIS and the NPPO of Argentina jointly agree that the 
place of production has taken appropriate remedial measures to address 
plant pest risk.
    (ii) If a single B. chilensis or Brevipalpus spp. mite in any stage 
of development is found on the lemons, the entire consignment is 
prohibited from export, and the registered place of production that 
produced the lemons may be suspended from the export program, pending 
an investigation.
    (iii) If a single immature Medfly is found in or with the lemons, 
the lemons must be treated in accordance with part 305 of this chapter 
and the operational workplan. Additionally, the registered place of 
production that produced the lemons in the consignment may be suspended 
from the export program, pending an investigation.
    (5) If APHIS or the NPPO of Argentina determines that a registered 
packinghouse has failed to follow the requirements in this paragraph 
(c), the packinghouse will be excluded from the export program until 
APHIS and the NPPO of Argentina jointly agree that the packinghouse has 
taken appropriate remedial measures to address the plant pest risk.
    (d) Port of entry requirements. Consignments of lemons from 
Argentina will be inspected at the port of entry into the United 
States. If any quarantine pests are discovered on the lemons during 
inspection, the entire lot in which the quarantine pest was discovered 
will be subject to appropriate remedial measures to address this risk.

(Approved by the Office of Management and Budget under control 
number 0579-0448)

    Done in Washington, DC, this 20th day of December 2016.
Kevin Shea,
Administrator, Animal and Plant Health Inspection Service.
[FR Doc. 2016-31013 Filed 12-22-16; 8:45 am]
 BILLING CODE 3410-34-P



                                                                 Federal Register / Vol. 81, No. 247 / Friday, December 23, 2016 / Rules and Regulations                                        94217

                                                defined in 5 U.S.C. 552(a)(6)(B), a                     been inspected and found to be free of                   One commenter stated that the
                                                failure to comply with the time limits                  quarantine pests and were produced in                 proposed rule failed to comply with the
                                                shall be excused for the length of time                 accordance with the requirements. This                requirements of the National
                                                provided by the court order.                            action allows for the importation of                  Environmental Policy Act (NEPA).
                                                ■ 10. Revise § 2604.601 to read as                      lemons from northwest Argentina into                  Specifically, the commenter stated that
                                                follows:                                                the United States while continuing to                 the proposed rule is a major Federal
                                                                                                        provide protection against the                        action that significantly affects the
                                                § 2604.601 Electronic posting and                       introduction of quarantine pests.                     human environment, as set forth in 40
                                                submission of annual OGE FOIA report.                   DATES: Effective January 23, 2017.                    CFR 1508.18 and 1508.27, respectively,
                                                   On or before February 1 of each year,                FOR FURTHER INFORMATION CONTACT: Mr.                  and that the Animal and Plant Health
                                                OGE will submit to the Office of                        Juan A. (Tony) Román, Senior                         Inspection Service (APHIS) should have
                                                Information Policy at the United States                 Regulatory Policy Specialist, PPQ,                    prepared an environmental impact
                                                Department of Justice and to the                        APHIS, 4700 River Road Unit 133,                      statement or environmental assessment
                                                Director of OGIS an Annual FOIA                         Riverdale, MD 20737–1236; (301) 851–                  (EA). The commenter further stated that
                                                Report. The report will include the                     2242.                                                 none of the APHIS categorical
                                                information required by 5 U.S.C. 552(e).                SUPPLEMENTARY INFORMATION:
                                                                                                                                                              exclusions set forth in 7 CFR 1b.3 apply,
                                                OGE will electronically post on its Web                                                                       therefore at a minimum, APHIS is
                                                site the report and the raw statistical                 Background                                            obligated to prepare an EA.
                                                data used in each report, in accordance                   The regulations in ‘‘Subpart-Fruits                    APHIS notes that the APHIS NEPA
                                                with 5 U.S.C. 552(e)(3).                                and Vegetables’’ (7 CFR 319.56–1                      implementing regulations in 7 CFR part
                                                [FR Doc. 2016–31004 Filed 12–22–16; 8:45 am]            through 319.56–75, referred to below as               372 specify that additional routine
                                                BILLING CODE 6345–03–P                                  the regulations) prohibit or restrict the             measures used by APHIS are
                                                                                                        importation of fruits and vegetables into             categorically exempt from NEPA, in
                                                                                                        the United States from certain parts of               addition to those measures set forth in
                                                                                                        the world to prevent the introduction                 7 CFR 1b.3. The measures in this rule
                                                DEPARTMENT OF AGRICULTURE                                                                                     that will occur within the United States
                                                                                                        and dissemination of plant pests within
                                                Animal and Plant Health Inspection                      the United States.                                    fall within the scope of these additional
                                                Service                                                   On May 10, 2016, we published in the                routine measures. Accordingly, a
                                                                                                        Federal Register (81 FR 28758, Docket                 categorical exclusion was prepared.
                                                                                                        No. APHIS–2014–0092) a proposal 1 to                     We do not agree that the rule meets
                                                7 CFR Part 319
                                                                                                        amend the regulations to allow the                    Council on Environmental Quality
                                                [Docket No. APHIS–2014–0092]                            importation of commercial                             requirements for a ‘‘significant’’ Federal
                                                RIN 0579–AE17                                           consignments of fresh lemons from                     action, and thus, by definition, cannot
                                                                                                        northwest Argentina into the                          be a ‘‘major’’ Federal action (a type of
                                                Importation of Lemons From                              continental United States, subject to a               significant action). The rule is not
                                                Northwest Argentina                                     systems approach.                                     contextually significant from a policy
                                                                                                           We solicited comments concerning                   standpoint because it does not
                                                AGENCY:  Animal and Plant Health                        our proposal for 60 days ending July 11,              substantially alter existing policy
                                                Inspection Service, USDA.                               2016. We extended the deadline for                    regarding market access requests, and
                                                ACTION: Final rule.                                     comments until August 10, 2016, in a                  has severity/intensity only if one
                                                                                                        document published in the Federal                     concedes that the mitigations specified
                                                SUMMARY:    We are amending the fruits                                                                        in the rule are ineffective in precluding
                                                                                                        Register on July 11, 2016 (81 FR 44801,
                                                and vegetables regulations to allow the                                                                       the introduction of quarantine pests. We
                                                                                                        Docket No. APHIS–2014–0092). We
                                                importation of lemons from northwest                                                                          consider them effective, for reasons
                                                                                                        received 414 comments by that date.
                                                Argentina into the continental United                                                                         discussed below.
                                                                                                        They were from domestic and foreign
                                                States. As a condition of entry, lemons                                                                          One commenter stated that APHIS
                                                                                                        citrus producers, State and national
                                                from northwest Argentina would have                                                                           must take all available measures to
                                                                                                        organizations representing citrus
                                                to be produced in accordance with a                                                                           preclude introduction of invasive
                                                                                                        producers, State departments of
                                                systems approach that includes                                                                                species into the United States.
                                                                                                        agriculture, an organization of State
                                                requirements for importation in                                                                                  APHIS agrees. Under the Plant
                                                                                                        plant pest regulatory agencies,
                                                commercial consignments; registration                                                                         Protection Act (7 U.S.C. 7701 et seq.),
                                                                                                        Argentina’s national plant protection
                                                and monitoring of places of production                                                                        we are responsible for regulating
                                                                                                        organization, the Argentine embassy,
                                                and packinghouses; pest-free places of                                                                        exports, imports, and interstate
                                                                                                        lemon importers and wholesalers,
                                                production; grove sanitation,                                                                                 commerce in agricultural products and
                                                                                                        longshoremen, U.S. ports of entry,
                                                monitoring, and pest control practices;                                                                       other commodities that pose a risk of
                                                                                                        Senators, Representatives, an Argentine
                                                treatment with a surface disinfectant; lot                                                                    harboring plant pests or noxious weeds
                                                                                                        organization devoted to citrus research,
                                                identification; and inspection for                                                                            in ways that are based on sound science
                                                                                                        and private citizens. Forty-seven
                                                quarantine pests by the Argentine                                                                             and that will reduce the risk of
                                                                                                        commenters supported the rule as
                                                national plant protection organization.                                                                       dissemination of plant pests or noxious
                                                                                                        proposed. Seventy-six commenters
                                                Additionally, lemons from northwest                                                                           weeds. For this reason we prepared a
                                                                                                        generally opposed the proposed rule but
                                                Argentina will have to be harvested                                                                           pest risk assessment (PRA) and assigned
                                                                                                        did not address any specific provisions.
                                                green and within a certain time period,                                                                       mitigations with a proven track record
                                                                                                        The remaining commenters raised a
jstallworth on DSK7TPTVN1PROD with RULES




                                                or treated for Mediterranean fruit fly in                                                                     in the risk management document
                                                                                                        number of issues and concerns about
                                                accordance with an approved treatment                                                                         (RMD).
                                                                                                        the proposed rule. These comments are
                                                schedule. Lemons from northwest                                                                                  One commenter noted that APHIS has
                                                                                                        discussed below by topic.
                                                Argentina will also be required to be                                                                         also recently published proposed rules
                                                accompanied by a phytosanitary                            1 To view the proposed rule and the comments        to allow for the importation of citrus
                                                certificate with an additional                          we received, go to http://www.regulations.gov/        from South Africa (79 FR 51273, Docket
                                                declaration stating that the lemons have                #!docketDetail;D=APHIS-2014-0092.                     No. APHIS–2014–0015) and Chile (81


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                                                94218            Federal Register / Vol. 81, No. 247 / Friday, December 23, 2016 / Rules and Regulations

                                                FR 19063, Docket No. APHIS–2015–                        traceability beyond the scope of the                     One commenter stated that the site
                                                0051). The commenter stated that                        Argentine domestic traceability system.               visit should be conducted during the
                                                because both of those proposals deal                       One commenter stated that                          summer months in Argentina.
                                                with a disease or pest of concern which                 Argentina’s traceability system will not                 The 2015 site visit occurred in June,
                                                is also of concern in the Argentine                     be able to trace detections of quarantine             during harvest season in Argentina. For
                                                proposal, APHIS should not finalize this                pests in U.S. orchards or urban areas                 this reason, APHIS considered a second
                                                rulemaking until we have responded to                   back to places of production.                         site visit during the September/October
                                                the comments on the other proposed                         APHIS is confident that if the                     timeframe to be sufficient.
                                                rules.                                                  mitigations in the rule are adhered to,
                                                                                                                                                                 One commenter stated that two
                                                   We disagree with the commenter that                  quarantine pests will not be introduced
                                                                                                                                                              additional site visits are needed.
                                                the other rules must be finalized before                into United States orchards or urban
                                                                                                                                                              Specifically, the commenter stated that
                                                we can proceed with this rule. APHIS                    areas.
                                                                                                           One commenter stated that                          after the September site visit, a second
                                                considers each of its rulemakings as a                                                                        fact-finding trip should be made to
                                                distinct regulatory action. This is                     Argentina’s traceability system has
                                                                                                        limited utility for citrus black spot                 review the harvesting and packing
                                                consistent both with the language of the                                                                      operations in Argentina. The commenter
                                                Administrative Procedure Act (5 U.S.C.                  (CBS), given its prolonged latency
                                                                                                        period.                                               stated that a trip at that time is needed
                                                551–559) and with case history                                                                                since so many steps in the systems
                                                regarding its implementation.                              As we explained in the PRA, fruit is
                                                                                                        not a pathway for CBS.                                approach take place during the
                                                Site Visits                                                One commenter stated that the site                 harvesting and packing operations.
                                                                                                        visit should specifically focus on the                   APHIS disagrees. As we explained
                                                   Many commenters stated that APHIS
                                                                                                        infrastructure of the national plant                  above, the 2015 site visit occurred in
                                                should conduct an additional site visit
                                                                                                        protection organization (NPPO) of                     June, which is during the harvest season
                                                before the rule is implemented. Many of
                                                                                                        Argentina. Another commenter stated                   in Argentina. For this reason, we do not
                                                those commenters also stated that
                                                                                                        that the site visit should specifically               consider two additional site visits to be
                                                representatives of State governments
                                                                                                        focus on NPPO oversight of places of                  necessary.
                                                and subject matter experts should be
                                                involved in the site visit.                             production.                                              Two commenters stated that industry
                                                                                                           The NPPO of Argentina is the Servicio              stakeholders should be allowed to
                                                   APHIS conducted an additional site
                                                                                                        Nacional de Sanidad y Calidad                         consult with trip members on their
                                                visit to review the details of the draft
                                                                                                        Agroalimentaria (SENASA). During the                  findings.
                                                operational workplan in September of
                                                                                                        September 2016 site visit, we looked at                  APHIS prepared a site visit report
                                                2016. In addition to APHIS personnel, a
                                                                                                        SENASA’s infrastructure and asked                     outlining the findings of the visit. The
                                                representative from the California
                                                                                                        questions to address their capacity to                site visit report is available on the
                                                Department of Food and Agriculture
                                                                                                        provide oversight. We remain confident                APHIS Web site at https://
                                                and a former plant pathologist from the
                                                                                                        that SENASA will be able to adhere to                 www.aphis.usda.gov/aphis/ourfocus/
                                                United States Department of
                                                                                                        the requirements of the systems                       planthealth/import-information/
                                                Agriculture, Agricultural Research
                                                                                                        approach.                                             proposal-import-lemons-argentina.
                                                Service (ARS) participated in the site                     Some commenters stated that the site
                                                visit as observers. The site visit revealed                                                                      Many commenters expressed concern
                                                                                                        visit should specifically focus on
                                                nothing that would require a revision of                                                                      that the findings of the 2007 site visit
                                                                                                        identifying pest populations in or near
                                                the PRA.                                                                                                      are outdated.
                                                                                                        production sites.
                                                   Some commenters stated that the site                    During the site visit, we asked                       The trip in 2007 was conducted by
                                                visit should include a holistic review of               questions about pest populations, and                 APHIS risk assessors to evaluate pest
                                                Argentina’s production system. Other                    we looked ourselves at fruit fly traps                complexes in Argentina in order to
                                                commenters stated that Argentina’s                      and at the citrus for signs of pests. We              prepare the PRA. Information from this
                                                traceability system provides holistic                   did not discover anything that requires               trip served as a baseline primarily for
                                                records of their production system.                     revisions to the PRA.                                 the pest list in the PRA. The PRA, as
                                                   APHIS conducted a thorough review                       One commenter stated that the site                 other commenters noted, has been
                                                of Argentina’s traceability system. We                  visit should specifically focus on                    continually updated since this trip
                                                looked at the requirements for growers                  organic production sites.                             through means that APHIS routinely
                                                signing up, initial site visits of                         APHIS did specifically ask about                   uses to update PRAs, such as literature
                                                production sites, ongoing oversight                     organic production. Argentina may in                  review and ongoing consultation with
                                                during the growing season, field and                    the future ship organic fruit, but                    the NPPO of Argentina. More
                                                packinghouse inspection, approval for                   currently they do not. Current                        specifically, the PRA was updated in
                                                movement and the final inspection for                   packinghouse practices include                        2014 after publication of new research
                                                phytosanitary certificates. We also                     chemical treatments that are not                      results on seed transmission of citrus
                                                reviewed the computer system they use,                  organic, so any fruit that arrived from an            variegated chlorosis (CVC) in citrus. The
                                                how users are added, who controls                       organic production site would lose its                PRA was also updated in 2014 in
                                                movement and harvest approvals, and                     organic status during packinghouse                    response to a new finding of citrus
                                                who issues phytosanitary certificates.                  processing.                                           greening, also known as Huanglongbing
                                                Based on that review, we consider                          We will ask SENASA about organic                   (HLB), in Argentina. The PRA was
                                                Argentina’s traceability system to be                   production in northwest Argentina, as                 reviewed by APHIS personnel at the
jstallworth on DSK7TPTVN1PROD with RULES




                                                robust, and we will use it for traceback                well as pest control guidelines they                  same time to address comments from
                                                as necessary. However, as specified in                  have developed for organic producers.                 Argentina regarding the pest list.
                                                the proposed rule, we also consider it                  We note that there are provisions in the              Furthermore, APHIS conducted a site
                                                necessary to be able to identify lots of                systems approach that preclude the                    visit just last year, in June of 2015, and
                                                lemons through the export process, from                 commingling of organic lemons and                     the information gathered during that
                                                the place of production to arrival at the               lemons for export to the United States                visit was used to update the PRA before
                                                port of entry. This establishes                         later in the production chain.                        the proposed rule was published.


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                                                                 Federal Register / Vol. 81, No. 247 / Friday, December 23, 2016 / Rules and Regulations                                        94219

                                                   Two commenters stated that the 2015                  asked and provided all information we                    The term ‘‘commercially produced’’ is
                                                site visit was not a technical review of                have requested.                                       equivalent to ‘‘commercial
                                                Argentina’s program.                                       Two commenters stated that                         consignments.’’ It includes all aspects of
                                                   The commenters are mistaken. The                     stakeholder comments on the PRA                       the production system: The manner in
                                                2015 site visit was a technical review of               appear to have been ignored.                          which the fruit was grown and
                                                Argentina’s program.                                       APHIS posts PRAs and other                         harvested, the quality of the fruit, the
                                                   Three commenters stated that APHIS                   documents for stakeholder review. As                  manner in which it is packaged, the
                                                did not provide enough information to                   noted on the Web site on which the                    quantities packaged, and the requisite
                                                the public regarding the 2015 site visit                documents are posted, while                           accompanying documentation.
                                                to evaluate its adequacy. Two                           stakeholder comments may result in                       One commenter stated that the PRA
                                                commenters stated that APHIS’ slow                      changes to the PRA, as well as the RMD                and proposed rule did not identify pests
                                                response to a Freedom of Information                    and the rule, it is not APHIS policy to               of concern for Argentine lemons.
                                                Act (FOIA) request for documents                        compile or post responses to the                         The pest list in the PRA identifies
                                                regarding the 2015 site visit is an                     comments received. This is because                    pests of lemons that are known to exist
                                                indication of the inadequacy of the trip.               these documents are also made available               in Argentina.
                                                   APHIS has received the FOIA request                  for review and comment along with the                    One commenter stated that four
                                                and is in the process of responding to                  rules and notices that propose to grant               pathogens—Elsinoë australis,
                                                it. The time taken to respond to the                    market access. Any comments that we                   Phyllosticta citricarpa, Xanthomonas
                                                FOIA request is consistent with normal                  receive on the documents during that                  citri subsp. citri (Xcc), and citrus
                                                timeframes for such requests and not a                  comment period are addressed in a final               leprosis virus—can all infect fruit and
                                                reflection of the adequacy of the trip.                 regulatory action.                                    stay viable while on the fruit, even
                                                   One commenter stated that APHIS’                        APHIS reviewed all of the comments                 though capacity for transmission from
                                                willingness to conduct another site visit               that we received on the PRA and RMD.                  infected fruit may be low. The
                                                is an indication of the inadequacy of the               Certain comments, such as statements                  commenter stated that the answer to the
                                                2015 site visit.                                        agreeing that Brevipalpus chilensis                   question ‘‘Can it follow the pathway?’’
                                                   Usually, APHIS conducts one site                     should be listed as a pest of lemons that             for all four pathogens should be
                                                visit as close to the implementation of                 is known to exist in Argentina, or that               changed to ‘‘yes.’’
                                                                                                        green lemons should not be required to                   APHIS notes that, while these could
                                                a new systems approach as possible in
                                                                                                        be treated for Mediterranean fruit fly                follow the pathway, the capacity for
                                                order to aid in development of the
                                                                                                        (Medfly), required no changes to the                  introduction or transmission of disease
                                                operational workplan. It was therefore
                                                                                                        PRA or RMD because the commenters’                    is so epidemiologically insignificant
                                                entirely in keeping with APHIS policy
                                                                                                        requests were already reflected in the                that further analysis was not warranted.
                                                to conduct the September 2016 site visit                                                                         One commenter stated that citrus
                                                prior to implementing this final rule,                  PRA or RMD. Other comments, such as
                                                                                                                                                              leprosis virus should have been selected
                                                and is not indicative of flaws in the                   a request to indicate whether the mites
                                                                                                                                                              for further analysis in the PRA as it is
                                                2015 visit.                                             B. californicus, B. obovatus, and B.
                                                                                                                                                              a quarantine pest likely to follow the
                                                   The 2015 site visit team included                    phoenicis (Brevipalpus spp.) were
                                                                                                                                                              pathway.
                                                several APHIS risk managers who have                    surface feeders, were incorporated into                  Citrus leprosis virus is not systemic
                                                extensive experience in evaluating                      the PRA and RMD.                                      and cannot be transmitted apart from
                                                foreign production systems to determine                    Other suggested revisions, such as                 viruliferous Brevipalpus spp. mites. It
                                                the ability of those systems to meet                    revising the RMD to prohibit the                      can follow the pathway only if it is
                                                requisite mitigation measures.                          importation of lemons with leaves                     vectored by the mites. For this reason
                                                                                                        attached, would have made the rule                    we do not consider the virus to be a
                                                Pest Risk Assessment
                                                                                                        more stringent that our domestic                      quarantine pest likely to follow the
                                                  One commenter stated that updated                     requirements for the interstate                       pathway.
                                                information appears to have been                        movement of citrus fruit from areas                      One commenter stated that the
                                                incorporated into the PRA in a                          quarantined for pests and diseases of                 citation in the PRA to the APHIS
                                                piecemeal fashion, without checking                     citrus, and were not incorporated for                 domestic fruit fly quarantine and
                                                whether any conclusions or                              that reason. Similarly, other revisions               regulations, which address Medfly was
                                                assumptions were affected.                              would have made the PRA or RMD                        outdated and have been replaced with 7
                                                  APHIS notes that we have updated                      inconsistent with how other APHIS                     CFR 301.32. The commenter noted that
                                                the PRA several times. Appendix 1 of                    documents discuss the same pest of                    in the current regulations, only yellow
                                                the PRA summarizes updates to the                       concern or mitigation structure.                      lemons are regulated articles for Medfly.
                                                draft PRA in response to public and                        Finally, certain comments, such as                    The commenter is correct; the
                                                peer review comments; Appendix 2                        that the NPPO of Argentina could not be               citations were outdated. However, this
                                                summarizes updates to the PRA made                      trusted to abide by the systems                       does not affect the conclusions of the
                                                between 2008 and 2015 in response to                    approach, were reiterated during the                  PRA that green lemons are a poor host
                                                new scientific information. Any time we                 comment period and dismissed for                      for Medfly.
                                                incorporated new material into the PRA                  reasons discussed below under the                        Several commenters stated that the
                                                we reviewed the PRA to check the                        heading ‘‘Risk Management Document.’’                 pest risk associated with importation of
                                                conclusions.                                               One commenter stated that a footnote               lemons is too high, and that the
                                                  One commenter stated that                             in the Executive Summary to the PRA                   domestic citrus industry would suffer as
jstallworth on DSK7TPTVN1PROD with RULES




                                                information provided by SENASA is                       seems to define the term ‘‘commercially               a result of pest introductions.
                                                unreliable.                                             produced,’’ but in fact only describes                   If the mitigations in the rule are
                                                  We disagree with the commenter. We                    conditions of the fruit after harvest and             adhered to, this pest risk will be
                                                have conducted two site visits during                   processing. The commenter stated that                 mitigated. Furthermore, some of these
                                                which we have verified the information                  the term ‘‘commercially produced’’                    commenters appear to have
                                                provided by SENASA. They have also                      should be limited to conditions at                    overestimated the likelihood of
                                                answered all the questions we have                      places of production.                                 introduction associated with certain of


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                                                94220            Federal Register / Vol. 81, No. 247 / Friday, December 23, 2016 / Rules and Regulations

                                                the pests. For example, Cryptoblabes                       This does not imply that port of entry             commenter cited a 2012 reference in the
                                                gnidiella and Gymnandrosoma                             inspections are an ineffective                        Ninth Report of the International
                                                aurantianum have never been                             component of a systems approach. Port                 Committee of Taxonomy of Viruses 3
                                                intercepted in commercial shipments of                  of entry inspections by U.S. Customs                  that said that citrus leprosis virus was
                                                citrus from South America. Both are                     and Border Protection (CBP) are, in fact,             transmitted to several other
                                                associated with poorly managed or non-                  capable of detecting quarantine pests                 experimental hosts from other genera
                                                commercial citrus, like backyard fruit.                 and are a significant mitigation against              including Phaseolus vulgaris in support
                                                   One commenter stated that B.                         pests entering the United States. For                 of this statement.
                                                chilensis should have been rated as high                example, in December 2015, CBP                           There is no mention in the report of
                                                risk in the PRA.                                        detections of Medfly larvae on Spanish                whether the conditions under which
                                                   APHIS notes that B. chilensis was in                 tomatoes and Moroccan citrus led us to                transmission to P. vulgaris occurred
                                                fact rated as high risk in the PRA.                     suspend market access for those                       could be reduplicated outside of
                                                   One commenter stated that                            commodities, pending investigations.                  laboratory conditions. The sentence the
                                                Brevipalpus spp. mites should all have                     One commenter asked why, if fruit is               commenter is referring to is
                                                been rated ‘‘High Risk.’’ The commenter                 not an ‘‘epidemiologically significant’’              immediately preceded by a sentence
                                                cited a scientific article on Brevipalpus               pathway for E. australis, P. citricarpa,              referring to mechanically administering
                                                mites and the diseases they transmit 2 in               and Xcc, the PRA says ‘‘additional                    inoculum to induce symptoms in
                                                support of this statement.                              specified risk management options may                 articles previously considered non-
                                                   In that article, Childers and Rodrigues              be required.’’                                        hosts. This, coupled with the use of
                                                state that the only confirmed vector of                    While we do not consider fruit to be               ‘‘experimental’’ to describe inoculation
                                                citrus leprosis in the Western                          an epidemiologically significant                      of P. vulgaris, suggests the study was not
                                                Hemisphere is B. phoenicis. The other                   pathway for these pests, the pests are                intended to reduplicate actual ‘‘field’’
                                                mites are suspected to be vectors, but                  subject to domestic quarantines within                conditions.
                                                are not known vectors. Given that we                    the United States. For the sake of                       In the PRA, we identified the
                                                consider B. californicus, B. obovatus,                  consistency with domestic regulations                 dispersal potential of B. chilensis as
                                                and B. phoenicis to be quarantine pests                 regarding the interstate movement of                  ‘‘medium’’ and of Brevipalpus spp. as
                                                only insofar as they may vector citrus                  fruit from areas quarantined for CBS,                 ‘‘high.’’ One commenter stated that the
                                                leprosis virus, and there is some                       sweet orange scab, and Xcc, we would                  dispersal potential for both B. chilensis
                                                uncertainty regarding the ability of B.                 require fruit to be washed, brushed,                  and Brevipalpus spp. should be high.
                                                californicus and B. obovatus to vector                  waxed, and surface disinfected. It is                    The commenter is correct that the
                                                this disease, we consider a medium risk                 worth noting that such washing,                       dispersal potential for both B. chilensis
                                                rating to be appropriate. It is also                    brushing, waxing, and disinfecting are                and Brevipalpus spp. should be the
                                                consistent with how we have rated these                 standard packinghouse procedures both                 same; however, we disagree that the
                                                                                                        domestically and internationally.                     rating for both should be high. Based on
                                                pests in other PRAs.
                                                   More importantly, a high risk rating                    Likelihood and Consequences of                     the work of Childers and Rodrigues, the
                                                                                                        Establishment                                         dispersal potential for both should be
                                                would not have changed our mitigations
                                                                                                           Several commenters stated that citrus-             medium. Both B. chilensis and
                                                for the pests. Under APHIS policy, both
                                                                                                        producing areas are particularly at risk              Brevipalpus spp. are very unlikely to
                                                medium risk and high-risk pests are
                                                                                                        for establishment of quarantine pests                 move from one orchard tree to another.
                                                subject to pest-specific mitigations
                                                                                                        that could follow the pathway.                        They both tend to aggregate, they move
                                                beyond port of entry inspection, and the
                                                                                                           Incorporating information regarding                downwind slowly, and they do not
                                                mitigations we prescribed to address
                                                                                                        likelihood of establishment would not                 balloon—that is, they do not produce
                                                Brevipalpus spp. are based on the
                                                                                                        have affected the pest risk ratings or the            streamers of silk and travel with wind
                                                possibility that they may vector citrus
                                                                                                        risk mitigation structure. As we                      currents for longer distances.
                                                leprosis virus, rather than the risk rating                                                                      One commenter stated that the
                                                                                                        explained above, both medium and
                                                ascribed to the pests.                                                                                        environmental impact potential for
                                                   One commenter stated that the overall                high-risk pests are subject to pest-
                                                                                                        specific mitigations beyond standard                  Brevipalpus spp. is low, but the
                                                risk rating should have been higher.
                                                                                                        port-of-entry inspection.                             introduction of this pest infected with
                                                   As we explained above, a higher
                                                                                                           One commenter stated that the PRA                  citrus leprosis virus would stimulate the
                                                overall risk rating would not have
                                                                                                        does not acknowledge that backyard                    use of chemical control. The commenter
                                                changed the mitigation structure.
                                                                                                        citrus in California is in proximity to               stated that the risk rating should
                                                   One commenter asked why, if ‘‘not be
                                                                                                        ports of entry. Other commenters stated               therefore be changed to medium. The
                                                detected at the port of entry’’ did not
                                                                                                        that the PRA does not recognize that                  same commenter also stated that
                                                impact risk ratings, port of entry
                                                                                                        most quarantine pest introductions first              consequences of introduction for
                                                inspection is a component of the
                                                                                                        occur in urban areas, and are                         Brevipalpus spp. should have been
                                                systems approach.
                                                                                                        undetected. Three commenters stated                   considered high.
                                                   ‘‘Not be detected at the port of entry’’                                                                      We consider the ratings given to
                                                                                                        that urban areas in Texas and California
                                                was removed as a criterion in the PRA                                                                         Brevipalpus spp. to be accurate. Under
                                                                                                        abut production areas and expressed
                                                because APHIS does not have enough                                                                            standard commercial packinghouse
                                                                                                        concern that pests could become
                                                information about relative likelihood of                                                                      procedures, the mites would be washed
                                                                                                        established in urban areas with
                                                detection at the port of entry to be able                                                                     or brushed off, even in the absence of
                                                                                                        backyard citrus and then spread into
                                                to weight this criterion relative to other                                                                    required mitigations. Furthermore,
                                                                                                        production areas.
jstallworth on DSK7TPTVN1PROD with RULES




                                                elements. As a result, this criterion                      As we noted above, incorporating this              citrus leprosis virus is not a systemic
                                                could not substantially impact the risk                 information into the PRA would not
                                                ratings.                                                have affected either the pest risk ratings              3 ‘‘Virus taxonomy: classification and

                                                                                                        or the risk mitigation structure.                     nomenclature of viruses: Ninth Report of the
                                                  2 Childers, C.C. and J.C.V. Rodrigues. 2011. An                                                             International Committee on Taxonomy of Viruses.’’
                                                overview of Brevipalpus mites (Acari:
                                                                                                           One commenter stated that Climate-                 (2012) Ed: King, A.M.Q., Adams, M.J., Carstens, E.B.
                                                Tenuipalpidae) and the plant viruses they transmit.     Host interaction for Brevipalpus spp.                 and Lefkowitz, E.J. San Diego: Elsevier Academic
                                                Zoosymposia 6:180–192.                                  should have been rated ‘‘high.’’ The                  Press.



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                                                                 Federal Register / Vol. 81, No. 247 / Friday, December 23, 2016 / Rules and Regulations                                        94221

                                                infection, and mites do not feed on                     quarantine pest list—they did not have                fully implemented or maintained would
                                                harvested fruit unless doing so is                      B. chilensis or Brevipalpus spp., but had             result in remedial actions, including
                                                absolutely necessary for survival.                      all other quarantine pests identified in              possible suspension of the export
                                                   Accordingly, for a non-viruliferous                  the Argentine citrus PRA. Accordingly,                program for Argentine lemons.
                                                Brevipalpus mite in the United States to                many provisions of the Argentine                         One commenter expressed concern
                                                become a vector of citrus leprosis virus,               lemons systems approach were modeled                  that the United States Department of
                                                the infected portions of the fruit would                on the Uruguay citrus systems                         Agriculture (USDA) cannot be trusted to
                                                have to have abnormally high levels of                  approach, which has been in place for                 abide by mitigations in the RMD and
                                                inoculum, the mite would have to be on                  31⁄2 years now without incident.                      rule. The commenter referred to a
                                                infested fruit, and the mite would have                 Furthermore, the Brevipalpus-specific                 scandal at Hunts Point Terminal
                                                to specifically consume the infected                    provisions are not new, and have been                 Produce Market in the Bronx, NY, as an
                                                portions of the fruit, climb up a tree,                 tested for several different commodities              example of USDA personnel accepting
                                                and infect the tree.                                    in other countries.                                   bribes and kickbacks. The commenter
                                                   Since citrus leprosis virus inoculum                    Five commenters expressed concern                  stated that even if such events are not
                                                is not shed to offspring, this would also               that Argentina cannot be trusted to                   commonplace, they still must be
                                                have to occur during the infected mite’s                abide by mitigations in the RMD and                   factored into the risk assessment.
                                                lifetime. We consider the probability of                rule. Some of these commenters cited
                                                                                                                                                                 The bribery and kickback scheme
                                                this occurring to be extremely remote.                  incidents that they believed showed
                                                                                                                                                              referenced by the commenter was
                                                   One commenter stated that the                        Argentina handling sanitary or
                                                                                                        phytosanitary issues in deceptive ways.               revealed in 1999 after a 3-year
                                                likelihood of introduction for Medfly                                                                         investigation by the USDA Inspector
                                                should have considered lemons a                         One commenter stated that, as a result
                                                                                                        of the history of SENASA, APHIS needs                 General and involved Agriculture
                                                conditional host, rather than a                                                                               Marketing Service personnel, who have
                                                conditional non-host.                                   to exercise continual monitoring and
                                                                                                        oversight over the program.                           no role in the implementation of this
                                                   The designation of lemons as a                                                                             rule.
                                                conditional non-host of Medfly was                         Argentina is a World Trade
                                                                                                        Organization member country and                          One commenter asked why, if the
                                                based on research published by ARS                                                                            mitigations in the RMD are effective, the
                                                scientists 4 that examined the host status              signatory on the Agreement on the
                                                                                                        Application of Sanitary and                           PRA discusses likelihood and
                                                of immature lemons.                                                                                           consequences of introduction.
                                                   One commenter stated that the PRA                    Phytosanitary Measures (SPS
                                                did not consider introduction via                       agreement). As such, it has agreed to                    The PRA follows our guidelines for
                                                smuggling or diversion. The commenter                   respect the phytosanitary measures the                PRAs. As such, it discusses the
                                                expressed concern that the fruit could                  United States imposes on the                          likelihood and consequences of
                                                                                                        importation of plants and plant                       quarantine pests that could follow the
                                                be carried to a home while vectoring a
                                                                                                        products from Argentina when the                      pathway on lemons from northwest
                                                pest or disease.
                                                                                                        United States demonstrates the need to                Argentina to the United States, in the
                                                   The PRA addressed the plant pest risk
                                                                                                        impose these measures in order to                     absence of any mitigations. This
                                                associated with the importation of
                                                                                                        protect plant health within the United                assessment is a necessary aspect of our
                                                commercially produced and
                                                                                                        States. The PRA that accompanied the                  evaluation of the risk rating for the
                                                commercially packed fresh lemon fruit
                                                                                                        proposed rule provided evidence of                    pests.
                                                from northwest Argentina into the
                                                                                                        such a need. Argentina has                               The RMD lists the mitigations that
                                                United States. Fruit that is not
                                                                                                        demonstrated the ability to comply with               will be applied to prevent pests from
                                                commercially grown or packed are
                                                                                                        U.S. regulations with respect to other                following the pathway and being
                                                outside the scope of the risk assessment.               export programs.                                      introduced.
                                                Risk Management Document                                   We disagree with several of the
                                                                                                                                                                 Three commenters stated that
                                                                                                        examples cited as recent prevarication
                                                   One commenter stated that the RMD                                                                          European Union (EU) detections of CBS
                                                                                                        by SENASA. APHIS became aware of
                                                requirements are inadequate to                                                                                on fruit from Argentina indicate the
                                                                                                        the presence of A. fraterculus in
                                                eliminate the risk of introduction of the                                                                     inability of Argentina to follow a
                                                                                                        blueberries in Argentina because of a
                                                quarantine pests identified in the PRA,                                                                       systems approach.
                                                                                                        scientific paper published by Argentina.
                                                but did not provide the basis for their                                                                          We disagree with the EU regarding the
                                                                                                        The disagreement between APHIS and
                                                concern.                                                                                                      transmissibility of CBS via
                                                                                                        SENASA regarding the presence of B.
                                                   Some commenters stated that the                                                                            commercially produced fruit. The point
                                                                                                        chilensis in Argentina was based on
                                                RMD and rule contain safeguards to                                                                            of these statements in the PRA and RMD
                                                                                                        differing opinions regarding whether the
                                                address plant pest risk, and one                                                                              was to point out that Argentina has been
                                                                                                        pest detected had been identified
                                                commenter stated that similar systems                                                                         able to implement and abide by a
                                                                                                        properly. As such, it indicated a
                                                approaches for citrus from other                                                                              systems approach for lemons that rests
                                                                                                        difference of scientific opinion, rather
                                                countries have proven effective. One                                                                          on SENASA having the wherewithal to
                                                                                                        than an act of deception.
                                                commenter, however, stated that there                      That said, the 2015 site visit                     meet phytosanitary requirements. We
                                                are no similar systems approaches                       specifically evaluated SENASA’s                       note that the RMD stated that Argentina
                                                because no other growing area harbors                   oversight of the Argentine production                 proposed the EU systems approach to us
                                                this combination of pests and diseases                  system for lemons to determine whether                in its entirety as a mitigation structure,
                                                of citrus, but is still asking to market                the provisions of the systems approach                and that we rejected adopting it
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                                                fresh fruit.                                            could be implemented and maintained.                  outright. Furthermore, the systems
                                                   APHIS notes that the PRA for citrus                     Finally, as provided in paragraph (a)              approach for Argentine citrus to the EU
                                                from Uruguay had a very similar                         of the proposed rule, APHIS would be                  is the same systems approach applicable
                                                                                                        directly involved in monitoring and                   to U.S. citrus to the EU, indicating they
                                                  4 Spitler, G.H., J.W. Amstrong, and H.M. Couey.
                                                                                                        auditing implementation of the systems                consider us equivalent in terms of
                                                1984. Mediterranean fruit fly (Diptera: Tephritidae)
                                                host status of commercial lemon. Journal of             approach in Argentina. A determination                ability to adhere to phytosanitary
                                                Economic Entomology 77(6):1441–1444.                    that the systems approach had not been                requirements.


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                                                94222             Federal Register / Vol. 81, No. 247 / Friday, December 23, 2016 / Rules and Regulations

                                                   It is also worth noting that the EU                    present there, or present but not widely                 One commenter noted that the RMD
                                                audit 5 attributed the detections to a lack               distributed there and being officially                specifies that SENASA must ensure that
                                                of traceability of individual lots of fruit               controlled.’’                                         growers are following the ‘‘export
                                                to the production units in places of                         One commenter noted that the RMD                   protocols.’’ The commenter asked what
                                                production, to some packinghouses                         says 9 pests of quarantine significance               those protocols are, and stated that they
                                                commingling lemons destined for export                    were identified, but the PRA lists 10.                should be made available for public
                                                with other fruit, and to some producers                   The commenter asked for an                            review and comment.
                                                not applying pest controls for CBS.                       explanation of this apparent                             The protocols are conditions for
                                                These mitigations, which were added to                    discrepancy.                                          export established by APHIS in the
                                                the EU directive following the                               The PRA acknowledges that CBS                      operational workplan. The RMD and the
                                                detections, are all aspects of our systems                could follow the pathway, and is a                    regulatory requirements derived from it
                                                approach. Our systems approach is, in                     quarantine pest, but then cites the 2010              include a general description of all the
                                                short, more stringent than the EU                         PRA, which determined that, even in                   phytosanitary measures necessary to
                                                directive was prior to the CBS                            the absence of packinghouse                           mitigate pest risk. The operational
                                                detections.                                               procedures, fruit is an                               workplan specifies details that are
                                                   One commenter stated that there is no                  ‘‘epidemiologically insignificant’’                   necessary for day-to-day operations
                                                evidence the EU systems approach for                      pathway for CBS, and the conditions                   needed to carry out provisions of the
                                                lemons from Argentina is equivalent to                    that would allow for transmission from                rule and RMD. Operational workplans
                                                the systems approach proposed by                          fruit are nearly impossible to occur,                 are available to the public upon request
                                                APHIS.                                                    even in the absence of standard                       only after a rule has been finalized and
                                                   The two systems approaches are not                     packinghouse procedures. The RMD                      the operational workplan has been
                                                equivalent, and we did not suggest they                   looked at commercially produced fruit,                signed by APHIS and the NPPO of the
                                                were. Rather, we made reference to the                    that is, fruit subject to packinghouse                exporting country. With respect to
                                                EU systems approach to illustrate that                    procedures and standard industry                      consulting with stakeholders, APHIS
                                                Argentina has the capacity to adhere to                   practices. This led us to drop CBS from               typically conducts outreach and
                                                a stringent systems approach, so that it                  the list of quarantine pests.                         consultation during the risk assessment
                                                is plausible that they could adhere to                       One commenter noted that in section                and management phases.
                                                our systems approach as well. We state                    1 of the RMD, guidelines for growers                     One commenter stated that section 16
                                                in the RMD that Argentina proposed                        participating in the program are                      of the RMD should specify that fruit fly
                                                that we simply adopt the EU systems                       mentioned as needing to be followed.                  detections must fall below a threshold
                                                approach, and we rejected that proposal.                  The commenter asked what these                        before a registered place of production
                                                   One commenter stated that, because                     guidelines are.                                       can resume shipping.
                                                of proximity of ports of entry to urban                                                                            Immature lemons are a poor host of
                                                                                                             In the RMD, we explain that these are
                                                areas, and urban areas to citrus                                                                                Medfly. Because of this, prevalence
                                                                                                          pest control guidelines that a place of
                                                production in the United States, any                                                                            levels at a place of production are not
                                                                                                          production may need to meet in order
                                                lapses from systems approach will have                                                                          germane to whether Medfly are more
                                                                                                          to qualify for registration with SENASA.
                                                dire consequences.                                                                                              likely to follow the pathway on
                                                                                                             One commenter asked if the
                                                   The commenter seems to be assuming                                                                           immature Argentine lemons, and it
                                                                                                          operational workplan will contain only
                                                that, if infested or infected fruit is                                                                          would be incommensurate with risk to
                                                                                                          SENASA’s requirements.
                                                shipped to the United States, it will not                                                                       cut off a place of production based on
                                                                                                             Generally, the operational workplan
                                                be detected at a port of entry inspection,                                                                      Medfly detections.
                                                                                                          pertains to APHIS, the NPPO of the                       This policy is consistent with our
                                                and will necessarily result in the                        exporting region, and growers,
                                                introduction of quarantine pests into the                                                                       existing importation requirements for
                                                                                                          packinghouses, and persons                            lemons from other countries that have
                                                United States. This assumption is, in                     commercially involved in chain of
                                                essence, that port of entry inspections                                                                         Medfly. We have no reason to believe
                                                                                                          production. It contains details that are              these existing requirements have been
                                                are ineffective at detecting plant pests.                 necessary for day-to-day operations
                                                We disagree with this assumption; port                                                                          ineffective.
                                                                                                          needed to carry out provisions of the                    One commenter stated that places of
                                                of entry inspections are an effective                     rule and RMD. This one will be no
                                                mitigation and have precluded two                                                                               production should be suspended if B.
                                                                                                          different.                                            chilensis is found on the lemons during
                                                potential introductions of Medfly in the                     One commenter asked what
                                                last year alone.                                                                                                NPPO inspections.
                                                                                                          SENASA’s requirements are under the                      In the RMD, we said place of
                                                   One commenter stated that there is no
                                                                                                          operational workplan.                                 production ‘‘may be suspended’’ and are
                                                definition or list of criteria for pests of
                                                                                                             SENASA’s requirements include                      ‘‘subject to suspension’’ out of
                                                ‘‘quarantine significance’’ in either the
                                                                                                          everything specified within the RMD:                  recognition that the investigation could
                                                PRA or RMD. The commenter asked
                                                                                                          Registration; regular inspections; pest               determine that the fruit was clean when
                                                what the criteria are for determining
                                                                                                          control guidelines; and inspections to                it left the orchard, and the pest was
                                                what pests are of quarantine
                                                                                                          determine that treatment guidelines are               introduced later in the production
                                                significance.
                                                                                                          being adhered to.                                     chain.
                                                   The PRA, RMD, and rule use the
                                                                                                             Additionally, Argentina has place of                  Two commenters noted that the rule
                                                terms ‘‘quarantine significance’’ and
                                                                                                          production requirements apart from                    doesn’t contain mitigations for CVC and
                                                ‘‘quarantine pest’’ interchangeably. In
                                                                                                          APHIS’ requirements that pertain to all               its vectors. The commenters expressed
                                                § 319.56–2 of the regulations, we define
jstallworth on DSK7TPTVN1PROD with RULES




                                                                                                          citrus groves in the country. These                   concern that potential vectors could
                                                a quarantine pest as ‘‘[a] pest of
                                                                                                          include sanitary guidelines that are                  transmit CVC if they were allowed to
                                                potential economic significance to the
                                                                                                          developed in consultation with                        hitchhike on exports.
                                                area endangered by it and not yet
                                                                                                          Argentine subject matter experts and                     Glassy-winged sharpshooters are the
                                                  5 The audit is available online at ec.europa.eu/        address regulated nonquarantine pest                  vector of concern for CVC. They are the
                                                food/audits-analysis/act_getPDF.cfm?PDF_                  populations that could affect                         subject of consistent surveys and are not
                                                ID=12522.                                                 marketability of the citrus.                          in northwest Argentina. Were they to


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                                                                 Federal Register / Vol. 81, No. 247 / Friday, December 23, 2016 / Rules and Regulations                                          94223

                                                spread into northwest Argentina, the                    eradicate once introduced, that it can                     The PRA found Florida’s environment
                                                sharpshooters would be removed by                       have a lengthy latency period, and that                 to be conducive to the spread of CBS,
                                                washing and brushing and standard                       trees infected with CBS are                             and examined only transmission via
                                                packinghouse procedures. Additionally,                  unmarketable.                                           fruit. The spread of CBS within Florida
                                                as external feeders, they are easy to                      APHIS notes that we never questioned                 could have occurred through a pathway
                                                detect during phytosanitary inspections                 the quarantine significance of CBS, just                other than fruit, and is not in itself
                                                and/or port of entry inspections.                       its ability to become established via                   indicative of errors in the 2010 PRA.
                                                Finally, CVC cannot follow the pathway                  fruit.                                                     One commenter stated that the EU
                                                of lemons in the absence of a vector.                      One commenter stated that                            Food Safety Commission in 2014 issued
                                                   One commenter noted that the RMD                     justifications in the PRA for why CBS                   a scientific opinion which deemed the
                                                concludes that seeds are unable to                      will not follow the pathway are not                     risk of entry of the causal agent of CBS
                                                transmit CVC directly. The commenter                    accurate. The commenter stated that the                 as moderately likely for citrus fruit
                                                stated that this directly contradicts the               PRA assumes farmers in Argentina all                    without leaves.
                                                regulations in 7 CFR 319.37–2, which                    farm in the same intensive manner.                         APHIS notes that the proposed
                                                consider CVC to be seed-transmitted.                       The commenter is mistaken. In the                    conditions for importation of lemons
                                                   A Federal Order published on May                     systems approach for Argentina lemons,                  from northwest Argentina are the same
                                                19, 2016, relieved restrictions on citrus               we have incorporated the same                           as the conditions we apply to export
                                                seed for CVC. The Federal Order is                      mitigations for CBS for that we are using               citrus from the United States. We also
                                                available on the APHIS Web site at                      for Florida citrus. These mitigations are               note that the causal organism of CBS has
                                                https://www.aphis.usda.gov/import_                      based on a separate scientific review,                  two life cycle stages: A sexual stage
                                                export/plants/plant_imports/federal_                    which can be viewed on the APHIS Web                    represented by the ascospores of
                                                order/downloads/2016/2016-31.pdf. A                     site at https://www.aphis.usda.gov/                     Guignardia citricarpa Kiely and an
                                                rule codifying this Federal Order is in                 plant_health/plant_pest_info/citrus/                    asexual stage represented by the
                                                development. The citrus seed pest list                  downloads/black_spot/cbs-risk-                          pycnidiospores of P. citricarpa
                                                prepared in November 2015 is                            assessment.pdf.                                         (McAlpine). These two stages are
                                                referenced in this Federal Order. The                      Several commenters stated that                       produced at different times, under
                                                pest list contains our current thinking                 APHIS erred in determining that CBS                     different environmental conditions, at
                                                about the transmissibility of CVC and                   cannot follow the pathway on fruit.                     different locations on the plant and
                                                other citrus diseases via seed.                         Another commenter expressed concern                     result in different epidemiological
                                                   Four commenters expressed concern                    that CBS could become established in                    dynamics. The sexual stage of the
                                                that the rule does not contain                          Southern California if infected fruit                   disease may be found in plants and
                                                mitigations for HLB.                                    arrived at and were distributed through                 leaves; the asexual stage of the disease
                                                   APHIS has examined whether fruit is                                                                          is found on fruit. The correlation
                                                                                                        the Port of Long Beach.
                                                a pathway for HLB, and determined that                                                                          between ascospore discharge and
                                                                                                           Both Paul et al.6 and Magarey and
                                                HLB is not transmitted via fruit.                                                                               infection onset showed that
                                                                                                        Holtz 7 ran infection models which
                                                Therefore, mitigations for HLB are not                                                                          pycnidiospores, the asexual stage, do
                                                                                                        found California’s climate, including
                                                necessary.                                                                                                      not play a significant role in the disease
                                                                                                        that of Southern California, unsuitable
                                                   One commenter stated that APHIS                                                                              cycle. For this reason fruit is not
                                                                                                        for establishment of CBS. While isolated
                                                should not trust SENASA on the scope                                                                            considered to be a pathway for CBS.
                                                                                                        microclimates in Southern California                       Several commenters asked how, if we
                                                of the HLB outbreak in Argentina.                       could result in small pockets of CBS
                                                   Neither the severity of the HLB                                                                              do not know how CBS got into Florida,
                                                                                                        infection, the overall climatic                         we know it cannot follow the pathway
                                                outbreak in Argentina, nor its
                                                                                                        conditions are unsuitable to                            on fruit.
                                                distribution, affect whether HLB-
                                                                                                        establishment and spread.                                  The PRA examined the biological and
                                                specific mitigations need to be included
                                                                                                           One commenter stated that APHIS did                  climatic conditions necessary for
                                                in the rule. As we explained above, HLB
                                                                                                        not take into account either the reality                establishment of CBS through infected
                                                is not transmitted via fruit.
                                                                                                        of the residential yards in Southern                    fruit, and determined that ‘‘the
                                                   The same commenter stated that
                                                                                                        California, or the numerous                             establishment of the disease via this
                                                APHIS should not trust SENASA on
                                                                                                        interceptions of Argentine citrus for                   pathway [the movement of fruit]
                                                distribution of Asian citrus psyllid
                                                                                                        CBS symptoms in shipments to the EU                     requires a combination of biological and
                                                (ACP), a vector of HLB, in Argentina.
                                                   The distribution of ACP in Argentina                 in the years since 2010.                                climatic conditions that are unlikely to
                                                is not necessary for us to evaluate the                    These two facts do not affect the                    occur.’’ It is important to acknowledge,
                                                risk of it following the pathway via the                conclusion on the 2010 PRA that the                     as the EU scientific opinion did, that
                                                importation of lemons. As documented                    establishment of the disease via the                    there are many possible pathways for
                                                in the PRA, standard packinghouse                       movement of fruit requires a                            the introduction of CBS, with some
                                                procedures will remove ACP from the                     combination of biological and climatic                  (such as smuggling of nursery stock)
                                                fruit. Only commercially produced fruit,                conditions that are unlikely to occur.                  significantly more likely to result in
                                                which is subject to such procedures and                    One commenter stated that the spread                 establishment.
                                                will therefore be free of ACP, can be                   of CBS in Florida could be indicative of                   One commenter asked what
                                                exported to the United States.                          errors in the 2010 PRA.                                 circumstances would compel APHIS to
                                                   One commenter stated that the PRA                       6 Paul, I., van Jaarsveld, A.S., Korsten, L., &
                                                                                                                                                                require further mitigations for CBS in
                                                should include information about                                                                                Argentina’s packinghouses, and what
jstallworth on DSK7TPTVN1PROD with RULES




                                                                                                        Hattingh, V. (2005). The potential global
                                                distribution of HLB in Argentina.                       geographical distribution of citrus black spot caused   mitigation steps it would be willing to
                                                   APHIS does not consider this                         by Guignardia citricarpa Kiely: likelihood of           institute in those circumstances.
                                                information to be necessary, given that                 disease establishment in the European Union. Crop          We have considered the risk of CBS
                                                                                                        Protection, 24, 297–308.                                and how to mitigate it. Standard
                                                HLB is not transmitted via fruit.                          7 Magarey, R., Chanelli, S., & Holtz T. (2011).
                                                   One commenter expressed several                      Validation study and risk assessment: Guignardia
                                                                                                                                                                packinghouse procedures, including
                                                concerns about CBS. The commenter                       citricarpa, (citrus black spot). USDA–APHIS–PPQ–        washing, brushing, disinfecting,
                                                stated that CBS is impossible to                        CPHST–PERAL/NCSU.                                       treating, and waxing, address that risk


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                                                94224            Federal Register / Vol. 81, No. 247 / Friday, December 23, 2016 / Rules and Regulations

                                                effectively. Under the circumstances, we                   One commenter stated that a trust                   lemon color to determine if lemons are
                                                do not believe further mitigations are                  fund agreement to pay for APHIS                        green.
                                                needed.                                                 personnel may be necessary.                               Two commenters asked who will
                                                   One commenter stated that the rule                      A trust fund agreement is associated                determine whether a lemon is green or
                                                should restrict exports to areas of                     with preclearance programs in which                    yellow. One commenter asked where
                                                northwest Argentina that are free of                    there is continual APHIS oversight,                    this determination will be made. That
                                                CBS.                                                    which we do not consider warranted                     commenter also stated that APHIS
                                                   For the reasons discussed above, we                  here.                                                  employees should make the
                                                do not consider this necessary.                            One commenter stated that                           determination.
                                                                                                        registration requirements should extend                   In Argentina, lemons are evaluated for
                                                Comments on Specific Provisions of the                  to contiguous orchards to mitigate the                 color and graded as part of
                                                Proposed Rule                                           chance of contamination of the place of                packinghouse procedures. The
                                                   One commenter asked why the                          production during harvest after the                    determination for color and grade is
                                                Provinces of Catamarca and Jujuy were                   initial freedom certification.                         made by graders employed by SENASA.
                                                included in the rule when they are not                     APHIS does not consider this to be                     One commenter stated that the
                                                major lemon-producing regions.                          necessary. As discussed above, the                     finding that green fruit is harvested from
                                                   As we explained in the proposed rule,                Brevipalpus spp. mites that exist in                   March to May in Argentina appears to
                                                SENASA asked for market access for                      Argentina do not balloon—that is they                  be based on 2007 information, which is
                                                these provinces. We therefore included                  do not produce streamers of silk and                   outdated.
                                                them in the PRA and found that lemons                   travel with wind currents for longer                      When green fruit is harvested in
                                                could be safely exported from these                     distances—and have limited mobility. It                Argentina is irrelevant to the
                                                provinces subject to the conditions                     is unlikely that they could infest                     conclusions of the PRA. As we
                                                described in the proposed rule.                         contiguous orchards after the initial                  explained in the proposed rule, lemons
                                                   One commenter stated that                            freedom certification.                                 that are harvested yellow would have to
                                                Brevipalpus spp. should not be listed as                   One commenter stated that registering               be treated for Medfly, regardless of the
                                                quarantine pests, but that citrus leprosis              small places of production may increase                time of year in which they are
                                                virus should be listed as a quarantine                  pest risk.                                             harvested.
                                                pest.                                                      We disagree that small places of                       One commenter stated that the RMD
                                                   Citrus leprosis virus is not systemic.               production may represent a higher pest                 and rule should be consistent with
                                                It could not be introduced into the                     risk than large ones. In order to be                   regard to when lemons do not need
                                                United States, unless vectored by                       registered with the NPPO and                           treatment.
                                                Brevipalpus spp. mites. For this reason                 participate in the export program, the                    The commenter seems to believe that
                                                we consider the mites to be quarantine                  NPPO (and, as warranted, APHIS) must                   there is a discrepancy between the RMD
                                                pests.                                                  determine that the place of production                 and the proposed rule because the
                                                   One commenter stated that the details                or packinghouse is able to adhere to the               requirement is phrased slightly
                                                of the operational workplan need to be                  systems approach. This is true                         differently, but this is not the case. Both
                                                included in the regulations or otherwise                regardless of the size of the place of                 the proposed rule and the RMD specify
                                                made publicly available.                                production or packinghouse. Routine                    that a lemon must be green and shipped
                                                   As we explained above, the                           inspections by the NPPO, and the                       within the April-August window in
                                                mitigations in the operational workplan                 possibility of monitoring by APHIS, will               order to avoid treatment.
                                                are the same as in the RMD and the rule.                corroborate ongoing maintenance of                        One commenter expressed concern
                                                The operational workplan specifies                      systems approach provisions at                         that the use of the term ‘‘safeguarded’’
                                                details for day-to-day operations that are              registered places of production and                    in § 319.56–76(a)(8) is too vague. The
                                                needed to carry out provisions of the                   packinghouses.                                         commenter stated that the words ‘‘and
                                                rule and the RMD. As a result,                             We proposed to require lemons from
                                                                                                                                                               protected from fruit fly infestation’’
                                                operational workplans are living                        Argentina to be harvested green and
                                                                                                                                                               should be inserted after the word
                                                documents that change periodically to                   within the time period of April 1 and
                                                                                                                                                               ‘‘safeguarded’’ in that paragraph.
                                                reflect new technologies and operational                August 31. If the lemons are harvested
                                                                                                                                                                  APHIS disagrees that this addition is
                                                realities in the field.                                 yellow or harvested outside of that time
                                                                                                                                                               necessary. We use the term
                                                   One commenter asked what                             period, they would have to be treated
                                                                                                                                                               ‘‘safeguarded’’ throughout the
                                                constitutes ‘‘direct involvement’’ in                   for Medfly in accordance with 7 CFR
                                                                                                                                                               regulations to mean that fruit must be
                                                implementation and monitoring of the                    part 305 and the operational workplan.
                                                                                                                                                               protected from infestation, or, in the
                                                operational workplan.                                   Two commenters asked how we would
                                                                                                                                                               case of treated fruit, reinfestation, by
                                                                                                        determine whether a lemon was green
                                                   The operational workplan provides                                                                           quarantine pests.
                                                                                                        or not.
                                                APHIS with the standard operating                                                                                 One commenter asked whether trucks
                                                                                                           In the ARS study that determined that
                                                procedures that the NPPO, places of                                                                            and workers would be sanitized in
                                                                                                        lemons are a conditional non-host of
                                                production, packinghouses, and others                                                                          between uses for U.S. exports and other
                                                                                                        Medfly, the term ‘‘yellow’’ was used
                                                involved in the production of the fruit                                                                        uses, and if not, why not.
                                                                                                        interchangeably with ‘‘mature.’’
                                                will follow as part of the export                                                                                 Packinghouse workers are required to
                                                                                                        Immature lemons were considered to be
                                                program. Our oversight will include                                                                            wash their hands and wear clean
                                                                                                        a poor host. For purposes of the systems
                                                routine reviews and inspections of the                                                                         protective clothing every time they enter
                                                                                                        approach, we consider any lemon that is
jstallworth on DSK7TPTVN1PROD with RULES




                                                program, but not continual oversight.                                                                          the packinghouse. The fruit never
                                                                                                        not green as ripe enough to require cold
                                                That would be tantamount to mandatory                                                                          touches the trucks; it is harvested and
                                                                                                        treatment. We are using additional ARS
                                                preclearance program, which we do not                                                                          brought to the packinghouse in bins that
                                                                                                        research 8 and a market standard on
                                                consider necessary. The frequency with                                                                         are disinfected after each use. Fruit for
                                                which we conduct site visits and review                   8 Jang, E.B., R.L. Mangan, D.M. Obenland, M.L.
                                                export program records will increase if                 Arpaia, and R. Rice. (undated). Defining Host Status   (PowerPoint Presentation). USDA-Agricultural
                                                any pest concerns are identified.                       of California Grown Lemons to Fruit Fly Infestation    Research Service and University of California. 8 pp.



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                                                                 Federal Register / Vol. 81, No. 247 / Friday, December 23, 2016 / Rules and Regulations                                       94225

                                                export is shipped in clean new boxes.                   above, lots are designated based on                   Berlese funnels and sieves is ubiquitous
                                                Old shipping boxes are never reused.                    grading conducted in packinghouses.                   in sampling mites and other small
                                                   Several commenters asked how                            Two commenters stated that the                     organisms in various habitats. The
                                                APHIS will determine pest-free places                   biometric sampling protocol for B.                    agricultural quarantine and inspection
                                                of production for B. chilensis, given that              chilensis is insufficient.                            data that APHIS collects routinely
                                                Argentine production for fresh                             APHIS disagrees. Mites have limited                suggests that this method, which has
                                                consumption and processing is                           mobility. The commenters are referring                been used for almost 20 years by APHIS
                                                intermixed.                                             to the fact that some species of mites are            as a mitigation measure, has been very
                                                   While B. chilensis exists in Argentina,              known to travel longer distances by                   effective in detecting B. chilensis mites
                                                there is no evidence that it exists in                  ballooning, where the mites produce                   on fruit from Chile.
                                                northwest Argentina. This is based on                   streamers of silk and travel with wind                   One commenter stated that it is
                                                extensive and ongoing documentation                     currents for longer distances. According              impossible to know whether 100
                                                SENASA has provided to APHIS. Due to                    to Childers and Rodrigues (2011),                     samples is sufficient without knowing
                                                the absence of                                          Brevipalpus mites do not produce silk                 the size of places of production.
                                                B. chilensis in northwest Argentina, the                and therefore are not capable of                         Regardless of the size of the orchard,
                                                intermixing of fresh and processed                      ballooning. Childers and Rodrigues                    100 samples provides 95 percent
                                                production sites in that area does not                  indicate there is some evidence that                  confidence of a 3 percent infestation
                                                have a bearing on whether a site is pest-               these mites can blow from heavily                     rate. This confidence level is sufficient
                                                free for B. chilensis.                                  infested plants downwind to nearby                    given that B. chilensis is not known to
                                                   It is worth noting that we have no                   plants. They do not present evidence of               exist within 1,000 miles of northwest
                                                evidence that Argentine producers                       long distance movement of Brevipalpus                 Argentina and, biologically, tends to
                                                designate specific sites for fresh or                   mites by the wind.                                    aggregate once established. APHIS
                                                processed production and use different                     B. chilensis mites in Argentina are                believes that the overlapping
                                                production practices based on the                       associated with the wine grape industry               protections of routine visual
                                                intended use of the lemons. Rather, as                  in the state of Mendoza (approximately                inspections, NPPO surveying for B.
                                                a result of grading during packinghouse                 1,000 miles south of the region where                 chilensis spread, and the biometric
                                                inspections, highly graded lots are                     lemons are produced). They are not                    protocol provide a sufficient degree of
                                                designated for the fresh market, while                  present in Tucumán where most of the                 phytosanitary protection.
                                                the rest of the fruit goes to processing                export lemons in Argentina are grown,                    One commenter stated that the B.
                                                and other uses.                                         nor, again, is there any evidence of their            chilensis biometric sampling protocol is
                                                   That being said, the rule specifies that             presence in the whole northwestern                    not based on the biology of B. chilensis.
                                                APHIS will monitor implementation of                    region.                                               The commenter stated that other species
                                                the systems approach. This includes                        The systems approach for B. chilensis              of Brevipalpus are known to have
                                                monitoring the distribution of B.                       is based on the pest’s limited mobility.              particular habitat preferences within a
                                                chilensis in Argentina. If the                          This systems approach has similarly                   tree, such as the most shaded, humid
                                                distribution changes, we note that there                been used in Chile for citrus for many                areas (Childers & Rodrigues 2011). The
                                                are still several safeguards that would                 years without interceptions of this mite              commenter stated that if something like
                                                address the commenter’s concern. First,                 in commercial shipments. In addition to               this is the case for B. chilensis, then a
                                                the place of production must be                         the place of production inspection,                   targeted survey, rather than biometric
                                                inspected regularly by the NPPO of                      every shipment of lemons to be                        survey of the place of production, is
                                                Argentina; these inspections would                      exported will also be inspected for mites             needed to determine prevalence.
                                                include inspections for B. chilensis.                   with the same wash technique. If mites                   APHIS disagrees. Mites, including B.
                                                Second, the place of production must                    are found on any shipment, that place                 chilensis, reproduce and build up
                                                adhere to any pest control or                           of production will be removed for the                 populations in a small area because of
                                                management practices specified by                       rest of the export season.                            their limited dispersal capability. The
                                                APHIS and/or SENASA. An orchard                            One commenter stated that APHIS                    sampling distribution is based on the
                                                that was in an area in which B. chilensis               only described the B. chilensis protocol,             premise that if one mite is found, there
                                                is known to occur, and in proximity to                  without providing evidence of its                     is a high probability that another mite
                                                an orchard not participating in the                     adequacy. The commenter further stated                is nearby. This is called an aggregated
                                                export program, would be subject to                     that the lack of interceptions of the mite            distribution. This probability
                                                management practices to address this                    on fruit that has entered the United                  distribution (or variation), is called
                                                risk. Finally, registration of places of                States from Chile is not sufficient                   hypergeometric, or negative binomial,
                                                production allows for traceback and                     evidence for the effectiveness of the                 and can be used to model the
                                                quick remediation if infested fruit is                  protocol. Another commenter stated that               distribution of most insects and mites.
                                                discovered later in the production                      there is no literature of evidence that                  Very few insects and mites do not
                                                chain.                                                  suggests the protocol is effective.                   have aggregated distributions, and there
                                                   One commenter stated that APHIS                         APHIS disagrees. Mites and other                   is no evidence that B. chilensis does not
                                                should ask SENASA to prepare a grid-                    small organisms have been studied by                  have aggregated distributions. The
                                                type schematic that shows the location                  collecting them from their habitat                    production site survey is a targeted
                                                of processed orchards as compared with                  through sieves that concentrate them.                 survey; the samples are taken from the
                                                orchards where fruit is grown for the                   Southwood and Henderson in their                      leaves which is where the mite
                                                fresh export market. The commenter                      classic textbook Ecological Methods 9                 populations are highest. We note,
jstallworth on DSK7TPTVN1PROD with RULES




                                                stated that this analysis is essential, and             devote chapters to this method of                     moreover, that this survey is presently
                                                that if SENASA will not prepare it, then                sampling.                                             strictly precautionary. There is no
                                                APHIS should prepare it.                                   This method of sampling has been                   evidence of B. chilensis in northwest
                                                   The grid suggested by the commenter                  used since the 18th century; use of                   Argentina.
                                                is not possible. Orchards in Argentina                                                                           Two commenters stated that biometric
                                                are not designated for a particular type                  9 Southwood, T.R.E., & Henderson, P.A. (2009).      sampling may miss immature B.
                                                of production. Rather, as we explained                  Ecological Methods. John Wiley & Sons.                chilensis mites.


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                                                94226            Federal Register / Vol. 81, No. 247 / Friday, December 23, 2016 / Rules and Regulations

                                                   The mite exists in populations that                     One commenter stated that the                      B. chilensis throughout the harvest
                                                contain eggs, immature stages, and                      protocol for citrus from Chile includes               season.
                                                adults. Only the adults can be identified               species of citrus that may be less                       If mites were found in a consignment
                                                reliably through microscopic                            hospitable to B. chilensis.                           at a packinghouse, the originating
                                                examination of the filtrate from the                       APHIS notes that the protocol for                  production site would lose its free
                                                sieve. The sieve will collect adult mites.              mites from Chile also includes fruit that             status. For this reason it is not necessary
                                                The likelihood of only eggs or nymphs                   are better hosts than lemons. The                     to inspect production sites throughout
                                                being present is very low, so APHIS can                 sampling method for determining low                   the harvest season.
                                                use the sieve sampling method to                        prevalence works regardless of mite                      One commenter stated that the B.
                                                reliably detect populations of mites at                 populations on the host fruit.                        chilensis protocol should include
                                                production sites. APHIS will be                            Two commenters stated that                         surveying for citrus leprosis virus.
                                                requiring a number of samples and the                   surveying for B. chilensis around                        Symptoms of citrus leprosis virus are
                                                probability that only eggs and larvae of                production sites is necessary because if              easy to detect, and fruit with such
                                                the target mite would be present in all                 there are high populations in the                     symptoms will be detected during
                                                of the samples is very low. Moreover, if                vicinity, or if wind is a strong factor in            standard packinghouse culling and
                                                one sample detects adult B. chilensis                   dispersal, mites are likely to be                     phytosanitary inspections.
                                                mites, the production site will not be                  constantly moving into the orchard.                      One commenter stated that fallen fruit
                                                certified B. chilensis free.                               As noted above, B. chilensis are a                 should be cut and inspected for Medfly.
                                                                                                        generalist pest, and tend to aggregate.                  This effectively calls for place of
                                                   One commenter asked how APHIS
                                                                                                        The likelihood of B. chilensis in a                   production freedom for Medfly. APHIS
                                                determined the efficacy of Chilean
                                                                                                        neighboring orchard, without spillover                notes that in the RMD, fallen fruit are
                                                citrus protocol.
                                                                                                        into the registered production site, is               specifically forbidden from being
                                                   As we state in the RMD, our
                                                                                                        low. Accordingly, if mites are in the                 included in harvested fruit going to the
                                                determination was based on the absence
                                                                                                        vicinity, they should be detected                     packinghouse for fresh market. For this
                                                of detections of infested fruit in the
                                                                                                        through routine place of production                   reason, we do not consider it necessary
                                                export pathway over almost 20 years.
                                                                                                        inspections and the biometric sampling                to sample fallen fruit for fruit flies or
                                                   One commenter questioned whether it                  protocol.                                             any other pest.
                                                is appropriate to compare the citrus-                      One commenter stated that the B.                      One commenter stated that trapping
                                                growing area that exists in Chile to the                chilensis-specific protocol should be                 requirements for Medfly need to be
                                                growing areas in Northwest Argentina                    extended to all Brevipalpus spp. mites.               delineated in the rule itself.
                                                for purposes of dealing with                               Currently Argentina is sampling for B.                Historically, we have put trapping
                                                Brevipalpus spp. mites. The commenter                   chilensis and the three Brevipalpus spp.              requirements in operational workplans,
                                                noted that the growing area in Argentina                mites that are potential vectors for citrus           rather than rules, to allow flexibility in
                                                is much larger than the growing area in                 leprosis virus. We are only requiring                 trapping protocols in order to respond
                                                Chile, and stated that the growing area                 pest free place of production for B.                  to variations in population densities
                                                in Argentina has high rainfall and high                 chilensis, because B. chilensis is itself a           from season to season, as well as the
                                                humidity, while the growing area in                     quarantine pest. We are requiring                     development of new lure and bait
                                                Chile typically has low rainfall and low                consignment freedom (by inspection of                 technologies.
                                                humidity. The commenter stated that                     harvested fruit) for all of the mites.                   One commenter stated that trapping
                                                the difference in climate makes the                     Brevipalpus species other than B.                     should be at least 50 percent with
                                                growing area in Argentina hospitable to                 chilensis are only considered quarantine              trimedlure and the other 50 percent
                                                certain pathogens, but did not specify                  pests if they are carrying the citrus                 should be baited with either 3-
                                                which ones.                                             leprosis virus. The probability of                    component or protein bait.
                                                   The commenter is mistaken about the                  movement of the citrus leprosis                          APHIS notes that both the 3-
                                                climate in northwest Argentina. The                     pathogen from an infected tree in                     component bait and the protein bait are
                                                scientists at the Obispo Columbres                      Argentina to a suitable host in the                   far less powerful lures for fruit flies than
                                                Agroindustrial Station, SENASA, and                     United States via a Brevipalpus mite                  trimedlure, a pheromone. The
                                                the lemon growers in Tucumán told us                   traveling on a lemon fruit is extremely               trimedlure will draw flies in from
                                                that northwest Argentina does not have                  low, and require several additional steps             farther away and is a more sensitive
                                                high rainfall. On the contrary, rainfall is             to acquire and spread the pathogen so                 detection system. Trimedlure will also
                                                low and the lemon groves are often                      we are not requiring production site                  attract males and unmated females,
                                                irrigated. Therefore, the mite                          freedom.                                              which will make up a significant
                                                populations should face similar climates                   One commenter stated that the B.                   portion of any fruit fly population. The
                                                in the citrus growing portions of Chile                 chilensis protocol should be extended to              only thing that the protein or 3-
                                                and the lemon growing parts of                          surrounding areas of production.                      component baits will attract is mated
                                                northwest Argentina. During the                            As we explained above, B. chilensis is             females, and if they are present then
                                                September 2016 site visit, we asked the                 not found within 1,000 miles of                       males and unmated females should also
                                                scientists at the Obispo Columbres                      northwest Argentina, has low powers of                be present and will have already been
                                                Agroindustrial station about the mites.                 mobility, and tends to aggregate. If it is            detected by the more powerful
                                                They said that they had found two of                    not found in a registered place of                    trimedlure.
                                                the three Brevipalpus mite species (not                 production during routine surveys                        One commenter asked for greater
                                                B. chilensis) in the lemon production                   conducted by the NPPO to evaluate pest                detail about the requirements for
jstallworth on DSK7TPTVN1PROD with RULES




                                                areas in northwest Argentina, but that                  spread, as well as routine harvest                    packinghouses. The commenter
                                                they were not common. Further, the hot                  inspections and two separate biometric                specifically asked whether an entire
                                                dry conditions favor mites more than                    samples associated with the systems                   facility would be included as a
                                                rainy humid conditions. The mitigations                 approach, we are confident that it will               packinghouse, how many facilities
                                                for Brevipalpus mites should not be                     not be on fruit for export.                           would pack lemons for the U.S. market
                                                affected by any climate differences,                       One commenter stated that                          and what volume could a dedicated
                                                which appear to be minimal.                             production sites should be inspected for              packinghouse expect to process.


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                                                                 Federal Register / Vol. 81, No. 247 / Friday, December 23, 2016 / Rules and Regulations                                      94227

                                                   A packinghouse has to be an entire                   of the regulations and the operational                   One commenter stated that the rule
                                                facility. APHIS is aware of a few                       workplan using a cold treatment. This                 should specify how APHIS will monitor
                                                packinghouses that would serve as                       cold treatment has been shown to be                   and enforce the systems approach. The
                                                primary packinghouses; however, all                     effective at mitigating the risk of Medfly            commenter expressed concern that
                                                packinghouses would be registered with                  in lemons. Additionally, the registered               APHIS would have to commit
                                                the NPPO. Both the NPPO and APHIS                       place of production that produced the                 substantial resources to ensure
                                                will monitor packinghouses during                       lemons in the consignment may be                      compliance with the operational
                                                routine inspections.                                    suspended from the export program,                    workplan.
                                                   One commenter asked how large a                      pending an investigation.                                This request is predicated on the
                                                consignment of lemons could be, and if                     One commenter stated that remedial                 stated assumptions that SENASA lacks
                                                there will be a limit on the size of                    actions should be identical, regardless               the ability and intent to abide by
                                                consignments.                                           of quarantine pest detected.                          systems approach requirements. For
                                                   Consignments can vary in size.                          The remedial action when quarantine                reasons discussed above, we disagree
                                                However, regardless of the size of the                  pests are detected is that the fruit cannot           with those assumptions.
                                                consignment, the sampling protocol is                   be exported. Some findings of                            One commenter stated that APHIS
                                                aimed at detecting a 3 percent                          quarantine pests also disqualify                      should require cold treatment of lemons
                                                infestation rate with at least 95 percent               production sites because the mitigation               from northwest Argentina.
                                                confidence.                                             requires the production site to be a pest-               This approach would not impose the
                                                   One commenter asked how a                            free place of production.                             least restrictive science-based actions
                                                biometric sample was defined.                              One commenter noted that the rule                  needed to address plant pest risk, and
                                                   The term ‘biometric sampling’ simply                 referred to CBP inspectors, but the                   thus would be inconsistent with our
                                                means that the sample size that is                      supporting documents refer to APHIS                   obligations under the SPS agreement.
                                                smaller than a straight 2 percent sample                inspectors. The commenter asked for                      One commenter stated that the rule
                                                can be used to detect pests on large                    clarification as to who will conduct port             should prohibit the importation of
                                                consignments of the commodity. Taking                   of entry inspections.                                 lemons from northwest Argentina into
                                                a biometric sample is more efficient                       CBP conducts inspections at ports of               Florida. The commenter also stated that
                                                than taking a straight percentage                       entries pursuant to authority delegated               the rule should limit importation of
                                                sample.                                                 to APHIS. The use of CBP employees to                 lemons to areas north of the 38th
                                                   One commenter stated that the                                                                              parallel.
                                                                                                        carry out functions specifically
                                                number of samples inspected should be
                                                                                                        delegated to APHIS is authorized by the                  We have determined, for the reasons
                                                600. The commenter stated that this is
                                                                                                        Homeland Security Act of 2002.                        described in the RMD that accompanied
                                                consistent with what other countries
                                                                                                        Because CBP is effectively acting as                  the proposed rule, that the measures
                                                require from U.S. growers.
                                                                                                        agents of APHIS for the purposes of                   specified in the RMD will effectively
                                                   APHIS disagrees that the number of
                                                                                                        these inspections, we use the term                    mitigate the risk associated with the
                                                samples inspected should be 600. One
                                                                                                        ‘‘APHIS.’’ These inspections sample                   importation of lemons from northwest
                                                hundred samples is consistent with the
                                                                                                        imported commodities for evidence of                  Argentina. The commenter did not
                                                Chilean protocol, which has been
                                                                                                        pests. If pests are detected, APHIS                   provide any evidence suggesting that
                                                effective at precluding infested fruit
                                                                                                        identifiers will be used to positively                the mitigations are not effective.
                                                from being shipped. Inspecting an
                                                                                                        identify the pests.                                   Therefore, we are not taking the action
                                                additional 500 fruit per sample does not
                                                                                                           One commenter asked whether port of                requested by the commenter.
                                                substantially impact the probability of
                                                                                                        entry inspections would include                          Two commenters expressed concern
                                                finding an infestation, and would be
                                                                                                        biometric sampling for Brevipalpus                    that Argentine producers may use
                                                significantly more resource-intensive.
                                                   One commenter asked if the same                      mites. The commenter also asked how                   pesticides or practices that are not
                                                method will be used to inspect for B.                   CBP would be able to detect the mites.                authorized in the United States.
                                                chilensis as is used for the production                    The B. chilensis protocol is used to                  We note that the Food and Drug
                                                site protocol.                                          establish place of production freedom,                Administration (FDA) of the Department
                                                   Yes, the same method will be used for                and is also used as part of the                       of Health and Human Services regulates
                                                both production sites and                               phytosanitary inspection by the NPPO.                 the pesticide, herbicide, and fertilizer
                                                packinghouses.                                          Port of entry inspection for B. chilensis             residues that may be present on
                                                   One commenter asked about the                        and other Brevipalpus mites will look                 imported fruits and vegetables intended
                                                efficacy data for post-harvest                          for the pests, as well as signs and                   for human consumption. If illegal
                                                inspections.                                            symptoms of infestation, such as                      pesticides are detected, FDA will take
                                                   Post-harvest inspections by the NPPO                 bronzing.                                             action to remove them from the
                                                of an exporting country are a long-                        One commenter asked why, if                        marketplace. Additionally, we note that
                                                standing phytosanitary measure that                     information from port of entry                        the packinghouse disinfectants and
                                                APHIS employs as part of market access                  inspections is ‘‘unreliable,’’ they can be            treatments for pathogens that we are
                                                requirements. The safe importation of                   stated to be effective.                               proposing for Argentina are the same
                                                thousands of foreign commodities into                      ‘‘Not be detected at the port of entry’’           used domestically.
                                                the United States over a prolonged                      was removed as a criterion in the PRA                    One commenter stated that importing
                                                period of time is an indication of its                  because we do not have enough                         lemons from Argentina will involve
                                                efficacy as a phytosanitary measure.                    information about relative likelihood of              carbon dioxide emissions that should be
jstallworth on DSK7TPTVN1PROD with RULES




                                                   One commenter stated that fruit that                 detection at the port of entry to be able             available to the consumer as they
                                                is infested with Medfly larvae should be                to weight this criterion relative to other            purchase the lemons. The commenter
                                                prohibited from being shipped.                          elements. As a result, this criterion                 stated that the lemons should be labeled
                                                   APHIS disagrees. In the event that a                 could not substantially impact the risk               with the pounds of carbon dioxide
                                                single immature Medfly is found in or                   ratings. This does not imply that port of             emitted per pound of lemons.
                                                with the lemons, then the lemons must                   entry inspections are an ineffective                     This request is outside the scope of
                                                be treated in accordance with part 305                  component of a systems approach.                      APHIS’ statutory authority.


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                                                94228            Federal Register / Vol. 81, No. 247 / Friday, December 23, 2016 / Rules and Regulations

                                                  Therefore, for the reasons given in the               there is no displacement of lemon                     compliance with the E-Government Act
                                                proposed rule and in this document, we                  imports from other countries, we                      to promote the use of the Internet and
                                                are adopting the proposed rule as a final               estimate that the price (custom import                other information technologies, to
                                                rule, with minor editorial changes.                     value) of fresh lemon will decrease by                provide increased opportunities for
                                                                                                        about 4 percent. Consumer welfare gains               citizen access to Government
                                                Executive Order 12866 and Regulatory
                                                                                                        of $22.4 million will outweigh producer               information and services, and for other
                                                Flexibility Act
                                                                                                        welfare losses of $19.9 million, resulting            purposes. For information pertinent to
                                                   This final rule has been determined to               in a net welfare gain of $2.5 million.                E-Government Act compliance related
                                                be not significant for the purposes of                  The 15,000 MT and 20,000 MT                           to this rule, please contact Ms. Kimberly
                                                Executive Order 12866 and, therefore,                   scenarios show similar effects.                       Hardy, APHIS’ Information Collection
                                                has not been reviewed by the Office of                     More reasonably, partial import                    Coordinator, at (301) 851–2483.
                                                Management and Budget.                                  displacement will occur, and price and
                                                   In accordance with 5 U.S.C. 604, we                  welfare effects will be proportional to               List of Subjects for 7 CFR Part 319
                                                have performed a final regulatory                       the net increase in U.S. lemon imports.                 Coffee, Cotton, Fruits, Imports, Logs,
                                                flexibility analysis, which is                          Assuming as an upper-bound that one-                  Nursery stock, Plant diseases and pests,
                                                summarized below, regarding the                         half of the quantity of fresh lemons                  Quarantine, Reporting and
                                                economic effects of this rule on small                  imported from Argentina displaces U.S.                recordkeeping requirements, Rice,
                                                entities. Copies of the full analysis are               fresh lemon imports from elsewhere, we                Vegetables.
                                                available on the Regulations.gov Web                    estimate for the 18,000 MT scenario that                Accordingly, we are amending 7 CFR
                                                site (see footnote 1 in this document for               the price decline will be about 2                     part 319 as follows:
                                                a link to Regulations.gov) or by                        percent; consumer welfare gains and
                                                contacting the person listed under FOR                  producer welfare losses will be $11.1                 PART 319—FOREIGN QUARANTINE
                                                FURTHER INFORMATION CONTACT.                            million and $10.0 million, respectively,              NOTICES
                                                   This analysis examines potential                     yielding a net welfare benefit of $1.1
                                                economic impacts of a rule that will                    million.                                              ■ 1. The authority citation for part 319
                                                allow the importation of fresh lemons                      The majority of businesses that may                continues to read as follows:
                                                from a region in Northwest Argentina                    be affected by the final rule are small                 Authority: 7 U.S.C. 450, 7701–7772, and
                                                into the continental United States. A                   entities, including lemon producers,                  7781–7786; 21 U.S.C. 136 and 136a; 7 CFR
                                                systems approach to pest risk mitigation                packers, wholesalers, and related                     2.22, 2.80, and 371.3.
                                                will provide phytosanitary protection                   establishments.                                       ■  2. Section 319.28 is amended as
                                                against pests of quarantine concern.                                                                          follows:
                                                Both U.S. producers and consumers will                  Executive Order 12988
                                                                                                                                                              ■ a. In paragraph (a)(1), by removing the
                                                be affected by the rule. While producers’                 This final rule allows lemons to be                 words ‘‘(except for the States of
                                                welfare will be negatively affected,                    imported into the continental United                  Catamarca, Jujuy, Salta, and Tucuman,
                                                welfare gains for consumers will                        States from Argentina. State and local                which are considered free of citrus
                                                outweigh producer losses, resulting in a                laws and regulations regarding lemons                 canker)’’.
                                                net benefit to the U.S. economy.                        imported under this rule will be                      ■ b. In paragraph (a)(2), by removing the
                                                   Commercial lemon production takes                    preempted while the fruit is in foreign               word ‘‘Argentina,’’.
                                                place in California and Arizona. For the                commerce. Fresh lemons are generally                  ■ c. By redesignating paragraphs (e)
                                                2014/15 season, lemon-bearing acres                     imported for immediate distribution and               through (i) as paragraphs (f) through (j),
                                                totaled 55,300 (California 47,000,                      sale to the consuming public, and                     respectively, and adding a new
                                                Arizona 8,300). In the same season, the                 remain in foreign commerce until sold                 paragraph (e).
                                                value of U.S. production of lemons was                  to the ultimate consumer. The question                ■ d. In newly redesignated paragraph
                                                $694 million. Over the production                       of when foreign commerce ceases in                    (h), the words ‘‘paragraphs (b) through
                                                seasons 2008/09 to 2014/15, U.S. fresh                  other cases must be addressed on a case-              (e)’’ are removed and the words
                                                lemon production averaged 535,244                       by-case basis. No retroactive effect will             ‘‘paragraphs (b) through (f)’’ are added
                                                metric tons (MT) per year. Over the                     be given to this rule, and this rule will             in their place.
                                                same period, annual imports averaged                    not require administrative proceedings                   The addition reads as follows:
                                                49,995 MT and exports averaged                          before parties may file suit in court
                                                101,849 MT. Because lemons imported                                                                           § 319.28   Notice of quarantine.
                                                                                                        challenging this rule.
                                                from Argentina that are harvested green                                                                       *     *     *    *    *
                                                between April 1 and August 31 will not                  Paperwork Reduction Act                                 (e) The prohibition does not apply to
                                                require treatment for Medfly, we expect                   In accordance with section 3507(d) of               lemons (Citrus limon (L.) Burm. f.) from
                                                that most will be imported during this                  the Paperwork Reduction Act of 1995                   northwest Argentina that meet the
                                                period, which coincides roughly with                    (44 U.S.C. 3501 et seq.), the information             requirements of § 319.56–76.
                                                the months in which U.S. lemon exports                  collection or recordkeeping                           *     *     *    *    *
                                                are declining and imports are                           requirements included in this final rule,             ■ 3. Section 319.56–76 is added to read
                                                increasing.                                             which were filed under 0579–0448,                     as follows:
                                                   Effects of the rule are estimated using              have been submitted for approval to the
                                                a partial equilibrium model of the U.S.                 Office of Management and Budget                       § 319.56–76       Lemons from northwest
                                                lemon sector. Annual imports of fresh                   (OMB). When OMB notifies us of its                    Argentina.
                                                lemon from Argentina are expected to                    decision, if approval is denied, we will                 Fresh lemons (Citrus limon (L.) Burm.
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                                                range between 15,000 and 20,000 MT,                     publish a document in the Federal                     f.) may be imported into the continental
                                                with volumes averaging 18,000 MT.                       Register providing notice of what action              United States from northwest Argentina
                                                Quantity, price and welfare changes are                 we plan to take.                                      (the Provinces of Catamarca, Jujuy,
                                                estimated for these three import                                                                              Salta, and Tucumán) only under the
                                                scenarios.                                              E-Government Act Compliance                           conditions described in this section.
                                                   If the United States imports 18,000                    The Animal and Plant Health                         These conditions are designed to
                                                MT of fresh lemon from Argentina and                    Inspection Service is committed to                    prevent the introduction of the


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                                                                 Federal Register / Vol. 81, No. 247 / Friday, December 23, 2016 / Rules and Regulations                                       94229

                                                following quarantine pests: Brevipalpus                 process, from the place of production to              traps, and provide the records to APHIS,
                                                chilensis, the Chilean false red mite; B.               the arrival of the lemons at the port of              as requested.
                                                californicus, the citrus flat mite, B.                  entry into the continental United States.                (4) Places of production must carry
                                                obovatus, the scarlet tea mite, and B.                  The means of identification that allows               out any additional grove sanitation and
                                                phoenicis, the false spider mite (referred              the lot to be traced back to its place of             phytosanitary measures specified for the
                                                to in this section as ‘‘Brevipalpus spp.                production must be authorized by the                  place of production by the operational
                                                mites’’); Ceratitis capitata, the                       operational workplan.                                 workplan.
                                                Mediterranean fruit fly; Cryptoblabes                      (7) Harvesting restrictions or                        (5) The NPPO of Argentina must visit
                                                gnidiella, the honeydew moth; Elsinoë                  treatment for fruit flies. Lemons from                and inspect registered places of
                                                australis, the causal agent of sweet                    Argentina must be harvested green and                 production regularly throughout the
                                                orange scab disease; Gymnandrosoma                      within the time period of April 1 and                 exporting season for signs of
                                                aurantianum (Lima), the citrus borer;                   August 31. If they are harvested yellow               infestations. These inspections must
                                                and Xanthomonas citri subsp. citri (ex                  or harvested outside of this time period,             start no more than 30 days before
                                                Hasse) Gabriel et al., the causal agent of              they must be treated for C. capitata in               harvest and continue until the end of
                                                citrus canker disease.                                  accordance with part 305 of this chapter              the export season. The NPPO of
                                                   (a) General requirements—(1)                         and the operational workplan.                         Argentina must allow APHIS to monitor
                                                Operational workplan. The national                         (8) Safeguarding. Lots of lemons                   these inspections. The NPPO of
                                                plant protection organization (NPPO) of                 destined for export to the continental                Argentina must also provide records of
                                                Argentina must provide an operational                   United States must be safeguarded                     pest detections and pest detection
                                                workplan to APHIS that details the                      during movement from registered places                practices to APHIS. Before any place of
                                                activities that the NPPO of Argentina                   of production to registered                           production may export lemons to the
                                                and places of production and                            packinghouses as specified by the                     continental United States pursuant to
                                                packinghouses registered with the                       operational workplan.                                 this section, APHIS must review and
                                                NPPO of Argentina will, subject to                                                                            approve of these practices.
                                                                                                           (9) Phytosanitary certificate. Each                   (6) If APHIS or the NPPO of Argentina
                                                APHIS’ approval of the workplan, carry                  consignment of lemons imported from
                                                out to meet the requirements of this                                                                          determines that a registered place of
                                                                                                        Argentina into the continental United                 production has failed to follow the
                                                section. The operational workplan must                  States must be accompanied by a
                                                include and describe the specific                                                                             requirements in this paragraph (b), the
                                                                                                        phytosanitary certificate issued by the               place of production will be excluded
                                                requirements as set forth in this section.
                                                                                                        NPPO of Argentina with an additional                  from the export program until APHIS
                                                APHIS will be directly involved with
                                                                                                        declaration stating that the requirements             and the NPPO of Argentina jointly agree
                                                the NPPO of Argentina in monitoring
                                                                                                        of this section have been met and that                that the place of production has taken
                                                and auditing implementation of the
                                                                                                        the consignments have been inspected                  appropriate remedial measures to
                                                systems approach.
                                                   (2) Registered places of production.                 and found free of Brevipalpus spp.                    address the plant pest risk.
                                                The fresh lemons considered for export                  mites, B. chilensis, C. capitata, C.                     (c) Packinghouse requirements. (1)
                                                to the continental United States must be                gnidiella, and G. aurantianum.                        During the time registered
                                                grown by places of production that are                     (b) Place of production requirements.              packinghouses are in use for packing
                                                registered with the NPPO of Argentina                   (1) Prior to each harvest season,                     lemons for export to the continental
                                                and that have been determined to be                     registered places of production of                    United States, the packinghouses may
                                                free from B. chilensis in accordance                    lemons destined for export to the                     only accept lemons that are from
                                                with this section.                                      continental United States must be                     registered places of production and that
                                                   (3) Registered packinghouses. The                    determined by APHIS and the NPPO of                   have been produced in accordance with
                                                lemons must be packed for export to the                 Argentina to be free from B. chilensis                the requirements of this section.
                                                continental United States in pest-                      based on biometric sampling conducted                    (2) Lemons destined for export to the
                                                exclusionary packinghouses that are                     in accordance with the operational                    continental United States must be
                                                registered with the NPPO of Argentina.                  workplan. If a single live B. chilensis               packed within 24 hours of harvest in a
                                                   (4) Recordkeeping. The NPPO of                       mite is discovered as a result of such                registered pest-exclusionary
                                                Argentina must maintain all forms and                   sampling, the place of production will                packinghouse or stored in a degreening
                                                documents pertaining to registered                      not be considered free from B. chilensis              chamber in the registered pest-
                                                places of production and packinghouses                  and will not be able to export lemons to              exclusionary packinghouse. Lemons
                                                for at least 1 year and, as requested,                  the United States. Each place of                      must be packed for shipment to the
                                                provide them to APHIS for review.                       production will have only one                         continental United States in insect-proof
                                                Based on APHIS’ review of records,                      opportunity per harvest season to be                  cartons or containers, or covered with
                                                APHIS may monitor places of                             considered free of B. chilensis, and                  insect-proof mesh or plastic tarpaulin.
                                                production and packinghouses, as                        certification of B. chilensis freedom will            These safeguards must remain intact
                                                APHIS deems warranted.                                  only last one harvest season.                         until the lemons arrive in the United
                                                   (5) Commercial consignments.                            (2) Places of production must remove               States, or the consignment will not be
                                                Lemons from Argentina can be imported                   plant litter and fallen debris from groves            allowed to enter the United States.
                                                to the continental United States in                     in accordance with the operational                       (3) Prior to packing, the lemons must
                                                commercial consignments only. For                       workplan. Fallen fruit may not be                     be washed, brushed, and surface
                                                purposes of this section, fruit in a                    included in field containers of fruit                 disinfected for E. australis and X. citri
                                                commercial consignment must be                          brought to the packinghouse to be                     and in accordance with the operational
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                                                practically free of leaves, twigs, and                  packed for export.                                    workplan, treated with an APHIS-
                                                other plant parts, except for stems less                   (3) Places of production must trap for             approved fungicide, and waxed.
                                                than 1 inch long and attached to the                    C. capitata in accordance with the                       (4) After treatment, the NPPO of
                                                fruit.                                                  operational workplan. The NPPO must                   Argentina or officials authorized by the
                                                   (6) Identification. The identity of the              keep records regarding the placement                  NPPO of Argentina must visually
                                                each lot of lemons from Argentina must                  and monitoring of all traps, as well as               inspect a biometric sample of each
                                                be maintained throughout the export                     records of all pest detections in these               consignment for quarantine pests, wash


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                                                94230            Federal Register / Vol. 81, No. 247 / Friday, December 23, 2016 / Rules and Regulations

                                                the lemons in this sample, and inspect                  DEPARTMENT OF AGRICULTURE                             been reviewed by the Office of
                                                the filtrate for B. chilensis in accordance                                                                   Management and Budget (OMB).
                                                with the operational workplan. A                        Office of Inspector General
                                                                                                                                                              Regulatory Flexibility Act
                                                portion of the lemons must then be cut
                                                open and inspected for evidence of                      7 CFR Part 2620                                         These regulations will not have a
                                                quarantine pests.                                                                                             significant economic impact on a
                                                                                                        Availability of Information to the Public             substantial number of small entities.
                                                   (i) If a single C. gnidiella or G.                                                                         Therefore, a regulatory flexibility
                                                aurantianum in any stage of                             AGENCY:  Office of Inspector General,
                                                                                                                                                              analysis as provided by the Regulatory
                                                development is found on the lemons,                     USDA.
                                                                                                                                                              Flexibility Act, as amended, is not
                                                the entire consignment is prohibited                    ACTION: Final rule.                                   required.
                                                from export to the United States, and
                                                the registered place of production that                 SUMMARY:   The U.S. Department of                     Executive Order 12291
                                                produced the lemons is suspended from                   Agriculture (USDA), Office of Inspector                 This rule relates to internal agency
                                                the export program until APHIS and the                  General (OIG) amends its regulation                   organization and management.
                                                NPPO of Argentina jointly agree that the                relating to the availability of its                   Therefore, it is exempt from the
                                                place of production has taken                           information to the public. The                        provisions of Executive Order 12291.
                                                appropriate remedial measures to                        amendments are necessary to update its
                                                                                                        regulation in order to reflect                        Paperwork Reduction Act
                                                address plant pest risk.
                                                                                                        reorganizations within OIG.                             These proposed regulations impose
                                                   (ii) If a single B. chilensis or
                                                                                                        DATES: Effective December 23, 2016.                   no additional reporting and
                                                Brevipalpus spp. mite in any stage of
                                                                                                        FOR FURTHER INFORMATION CONTACT:                      recordkeeping requirements. Therefore,
                                                development is found on the lemons,                                                                           clearance by OMB is not required.
                                                the entire consignment is prohibited                    Christy Slamowitz, Counsel to the
                                                from export, and the registered place of                Inspector General, U.S. Department of                 Federalism (Executive Order 13132)
                                                production that produced the lemons                     Agriculture, 1400 Independence Avenue
                                                                                                        SW., Room 441–E, Washington, DC                         This rule does not have Federalism
                                                may be suspended from the export                                                                              implications, as set forth in Executive
                                                program, pending an investigation.                      20250–2308, Telephone: (202) 720–
                                                                                                        9110.                                                 Order 13132. It will not have substantial
                                                   (iii) If a single immature Medfly is                                                                       direct effects on the States, on the
                                                found in or with the lemons, the lemons                 SUPPLEMENTARY INFORMATION:      The                   relationship between the national
                                                must be treated in accordance with part                 regulations regarding USDA OIG’s                      government and the States, or on the
                                                305 of this chapter and the operational                 processing of requests for information                distribution of power and
                                                workplan. Additionally, the registered                  under the Freedom of Information Act                  responsibilities among the various
                                                                                                        (FOIA), 5 U.S.C. 552, were last                       levels of government.
                                                place of production that produced the
                                                                                                        published in 1995 (60 FR 52842). Since
                                                lemons in the consignment may be                                                                              Congressional Review Act
                                                                                                        that time, OIG has had several internal
                                                suspended from the export program,
                                                                                                        reorganizations. As part of those                       OIG has determined that this rule is
                                                pending an investigation.                               reorganizations, OIG’s FOIA program                   not a major rule as defined by the
                                                   (5) If APHIS or the NPPO of Argentina                was transferred from OIG’s defunct                    Congressional Review Act, 5 U.S.C. 804.
                                                determines that a registered                            Office of Policy Development and
                                                packinghouse has failed to follow the                                                                         List of Subjects in 7 CFR Part 2620
                                                                                                        Resources Management to OIG’s Office
                                                requirements in this paragraph (c), the                 of Counsel. In order to provide the                     Freedom of information.
                                                packinghouse will be excluded from the                  public with current information                       ■ For the reasons set forth in the
                                                export program until APHIS and the                      regarding which OIG office processes                  preamble, OIG amends 7 CFR chapter
                                                NPPO of Argentina jointly agree that the                FOIA requests, OIG is amending these                  XXVI by revising part 2620 to read as
                                                packinghouse has taken appropriate                      regulations, which supplement USDA’s                  follows:
                                                remedial measures to address the plant                  FOIA regulations at subpart A of part 1
                                                pest risk.                                              of this title, including the appendix.                PART 2620—AVAILABILITY OF
                                                                                                                                                              INFORMATION TO THE PUBLIC
                                                   (d) Port of entry requirements.                      Administrative Procedure Act
                                                Consignments of lemons from Argentina                                                                         Sec.
                                                                                                          This rule relates to agency
                                                will be inspected at the port of entry                                                                        2620.1     General statement.
                                                                                                        organization and internal agency                      2620.2     Public inspection.
                                                into the United States. If any quarantine
                                                                                                        management. Pursuant to 5 U.S.C.                      2620.3     Requests.
                                                pests are discovered on the lemons
                                                                                                        553(A), such rules are not subject to the             2620.4     Denials.
                                                during inspection, the entire lot in                    requirement to provide public notice of               2620.5     Appeals.
                                                which the quarantine pest was                           proposed rulemaking and opportunity
                                                discovered will be subject to                                                                                   Authority: 5 U.S.C. 301, 552; Inspector
                                                                                                        for public comment. Therefore, notice                 General Act of 1978, as amended, 5 U.S.C.
                                                appropriate remedial measures to                        and comment before the effective date                 app. 3.
                                                address this risk.                                      are being waived.
                                                (Approved by the Office of Management and                                                                     § 2620.1    General statement.
                                                                                                        Executive Orders 12866 and 13563                        This part supplements the regulations
                                                Budget under control number 0579–0448)
                                                                                                           OIG has reviewed this rule to ensure               of the Secretary of Agriculture
                                                  Done in Washington, DC, this 20th day of
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                                                December 2016.
                                                                                                        its consistency with the regulatory                   implementing the Freedom of
                                                                                                        philosophy and principles set forth in                Information Act, 5 U.S.C. 552 (FOIA)
                                                Kevin Shea,                                             Executive Orders 12866 and 13563. OIG                 (subpart A of part 1 of this title,
                                                Administrator, Animal and Plant Health                  has determined that this rule is non-                 including the appendix), and governs
                                                Inspection Service.                                     significant within the meaning of                     the availability of records of the Office
                                                [FR Doc. 2016–31013 Filed 12–22–16; 8:45 am]            Executive Order 12866. Therefore, this                of Inspector General (OIG) to the public
                                                BILLING CODE 3410–34–P                                  rule is not required to be and has not                upon request.


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Document Created: 2016-12-23 12:29:03
Document Modified: 2016-12-23 12:29:03
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionFinal rule.
DatesEffective January 23, 2017.
ContactMr. Juan A. (Tony) Rom[aacute]n, Senior Regulatory Policy Specialist, PPQ, APHIS, 4700 River Road Unit 133, Riverdale, MD 20737-1236; (301) 851-2242.
FR Citation81 FR 94217 
RIN Number0579-AE17
CFR AssociatedCoffee; Cotton; Fruits; Imports; Logs; Nursery Stock; Plant Diseases and Pests; Quarantine; Reporting and Recordkeeping Requirements; Rice and Vegetables

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