12
Feb
(Beyond Pesticides, February 12, 2025) New York state Senator Patricia Canzoneri-Fitzpatrick (R-NY) introduced a bill (S1306) that would exempt farmland that is in transition to certified organic practices from real property tax for up to a three-year period. This bill was reintroduced in the state legislature at a time when many federal organic programs remain unfunded amid stalled Farm Bill negotiations (see here for previous Action of the Week calling on Congress to fund federal organic programs) and farmers continue to struggle with the cost of certification, paperwork, and access to land. The legislation recognizes the importance of supporting and incentivizing organic as a common good that protects health and the environment and saves taxpayer costs associated with, Externalities of chemical-intensive farming, from costs associated with fires, floods, and severe weather; Daily health and cleanup expenses associated with contamination of air, land, and water; and Crop and productivity losses and depressed ecosystem services (including loss of pollinators). The public is looking for opportunities to push forward holistic policies as executive orders suspend diversity, equity, and inclusion in federal agency staffing and programming, as well as the shuttering of government websites and databases mentioning climate change or environmental justice. As Beyond […]
Posted in Alternatives/Organics, National Organic Standards Board/National Organic Program, New York, State/Local, Uncategorized | No Comments »
04
Dec
(Beyond Pesticides, December 4, 2024) According to interviews conducted by Farm Progress, the U.S. organic food supply chain has been under pressure to come into compliance with the U.S. Department of Agriculture (USDA)âs March 19, 2024, Strengthening Organic Enforcement (SOE) final rule (See Daily News here). âWe are now seeing up to 95 percent of NOP (National Organic Program) import certificates that are coming in are valid, which means that we really closed the gap on products coming into the United States without an import certificate,â says Jennifer Tucker, PhD, deputy administrator for USDA National Organic Program (NOP). âWe really closed the door on illegitimate shipments.â Organic advocates welcome accountability measures to ensure the integrity of organic certification in the spirit of continuous improvement, which is regarded as a tenet of the Organic Food Production Act (OFPA). As communities and businesses across the country anticipate a change in decision-making philosophy regarding the role of federal intervention in the marketplace, environmental and public health advocates remain clear-eyed on the importance of improving the regulatory system to advance public health, biodiversity, and climate. Concerns Raised by Organic Supply Chain The National Organic Coalition, with member groups including Beyond Pesticides, summarizes the five […]
Posted in Alternatives/Organics, National Organic Standards Board/National Organic Program, NOSB National Organic Standards Board, Organic Foods Production Act OFPA, U.S. Customs and Border Patrol, Uncategorized | No Comments »
16
Oct
(Beyond Pesticides, October 16, 2024) In a study published in the Journal of Agriculture, Food Systems, and Community Development (JAFSCD), researchers from New York University (NYU) identify gaps in various federal agricultural support systems for organic farmers in a sweeping analysis. The research was spearheaded by Carolyn Dimitri, PhD, chair of the Nutrition and Food Studies program at NYU and a current member of the National Organics Standard Board (NOSB) as a public interest/consumer interest representative serving through January 2026. According to this study, there is a deficiency in institutionalized knowledge of national organic standards among existing U.S. Department of Agriculture (USDA) agents and staff working in various agencies, including Risk Management Agency (RMA), Natural Resources Conservation Service (NRCS), and Farming Service Agency (FSA). âA key recommendation from this study is the creation of specialized, highly trained crop insurance and conservation agents with expertise in organic farming systems to facilitate the application process and program use for conservation programs and crop insurance,â according to the researchers. The authors continue by echoing the sentiments of organic advocates and farmers across the nation on building organic integrity, saying, âThe Organic Cost Share Program [a program of USDAâs FSA] would have more impact […]
Posted in Alternatives/Organics, Congress, Federal Agencies, National Organic Standards Board/National Organic Program, NOSB National Organic Standards Board, Organic Foods Production Act OFPA, Uncategorized, US Department of Agriculture (USDA) | No Comments »
27
Sep
(Beyond Pesticides, September 27, 2024) A recent article in Flatwater Free Press identifies a growing trend of companies, communities, and farms nationwide advancing organic agriculture and land management. Among the signs of this change is Belltown Farms, a Philadelphia, PA owner and operator of organic and organic-transitioning farms, that, according to Flatwater, is âthe second-largest buyer of Nebraskaâs increasingly expensive farmland by money spent between 2018 and 2022â with plans to expand to 50,000+ acres in various states across the country. Similarly, the continued success of the Nebraska-based, on-farm processing operation, Grain Place Foods, and its collaboration with farmers focused on small-scale organic production, represents the diversity of economic and organizational models that can exist in local, regional, national, and even international food systems. This National Organic Month, organic advocates, consumers, and farmers continue to call on federal policymakers to expand opportunities for the proliferation of small-scale farming operations. In advancing growth of organic and integrity of the organic food label, organic advocates are seeking to ensure equity and access to land as integral to any growth. In this context, Beyond Pesticides had identified the promise of organic in fighting existential health, biodiversity, and climate crises and ongoing threats to the […]
Posted in Alternatives/Organics, National Organic Standards Board/National Organic Program, Nebraska, Uncategorized, US Department of Agriculture (USDA), Wegmans | No Comments »
23
Sep
Image: Shelf labeling at Blue Hill Coop, Blue Hill, Maine. Note three levels of information: Local Maine Organic, Organic, and Local Maine, as well as country of origin. Photo by Jay Feldman, heading to the Maine Organic Farmers and Gardeners Assn (MOFGA) Common Ground County Fair. (Beyond Pesticides, September 23, 2024) Public Comments on organic standards are due by 11:59 PM EDT on September 30, 2024. Beyond Pesticides is calling for the public to submit comments to the National Organic Standards Board during its Fall review of standards and allowed substancesâa second action in a two-part request for the public to weigh in on key issues that go to the heart of the integrity of practices allowed under the USDA organic food label. The issues addressed in this call for action include the following: end plastic in organic production and processed food as a research priority; eliminate nonorganic ingredients in processed organic food; and, require organic products to be produced using only organic seeds and starts. The first action during the current comment can be found here and includes the following issues: full review of âInertâ ingredients used in organic production; strengthened compost regulations; and, rejection of proposal for new animal drug […]
Posted in Alternatives/Organics, National Organic Standards Board/National Organic Program, Organic Foods Production Act OFPA, Take Action, Uncategorized, US Department of Agriculture (USDA) | No Comments »
12
Sep
(Beyond Pesticides, September 12, 2024) In a year with 74 national elections on the calendar, legislators and executive branches alike are in contention on the future of business-as-usual pesticide use and manufacturing. Be it Kenya or Brazil, the European Union and Mercosur (South American Trade Bloc), there is a growing contingency of farmers, advocates, researchers, and public leaders who desire a pathway forward in strengthening pesticide restrictions and supporting alternatives to chemical-intensive agriculture and land management, including organic. As leadership shifts and domestic conversations mount ahead of the 2024 United Nations Climate Change Conference (COP29) in Azerbaijan and the 2024 National Organic Standards Board meeting this fall, environmental and health advocates say it is vital that world leaders acknowledge the decades of grassroots advocacy and market development that led to the growth of organic systems in service of building capacity for nutrition, public health, biodiversity, and climate resilience while advancing food security. Kenya Earlier this month, the Kenyan parliament introduced a resolution to ban hazardous pesticides including glyphosate-based herbicide products such as RoundUp sold by Bayer/Monsanto, leading to a fiery debate on the state of agricultural uses. Hon. Gladys Boss, Deputy Speaker for the National Assembly, speaks to the rationale […]
Posted in International, Kenya, National Organic Standards Board/National Organic Program, Pesticide Regulation, Uncategorized, United Nations | No Comments »
09
Sep
(Beyond Pesticides, September 9, 2024)  Comments are due by 11:59 PM EDT on September 30, 2024. With the opening of the public comment period on organic standards that determine the integrity, strength, and growth of the organic agricultural sector, a study was released last week that shows degradation of the ecosystem linked to increased infant mortality associated with higher pesticide use by chemical-intensive farmers compensating for losses in bat populations. It is well known that bats, among other wildlife including birds and bees, provide important ecosystem services to farmers by helping to manage pest populations and increase plant resilience and productivity. While degradation of ecosystems is attributable to many factors, pesticide use accounts for an important element in harm to bats and biodiversity. The study, âThe economic impacts of ecosystem disruptions: Costs from substituting biological pest control,â published in Science, concludes with a finding that âinsect-eating bat population levels induce farmers to substitute with insecticides, consequently resulting in a negative health shock to infant mortality.â Daily News will cover this study in depth in an upcoming edition. According to research published in the Journal of the Association of Environmental and Resource Economists (2022), bat population declines cost American farmers as much as […]
Posted in Agriculture, Alternatives/Organics, Bats, Beneficials, Biodiversity, Children, Poisoning, Take Action, Uncategorized | No Comments »
27
Aug
Image: Art Page submission from Max Sano, “Maryland Farmland“ (Beyond Pesticides, August 27, 2024) A recent entry in the Civil Eats investigative series, âChemical Capture: The Power and Impact of the Pesticide Industry,â unpacks the troubling coordination between carbon markets, toxic pesticide products, and industrial agriculture to mutually reframe their business models under the guise of climate-smart agriculture. In recent years, powerful agribusiness corporationsâincluding Corteva (chlorpyrifos) and Bayer/Monsanto (glyphosate)âhave made significant progress in becoming leading providers of carbon markets based in the United States. Advocates, farmers, and communities view the misrepresentation of carbon offsets and trading as a climate solution in a strategy that undermines proven alternative systems of agriculture and land management (aka organic). The underlying concept of carbon markets began with the emissions trading program as a result of the Kyoto Protocol back in the 1990s. âEmissions trading, as set out in Article 17 of the Kyoto Protocol, allows countries that have emission units to spareâemissions permitted them but not “used”âto sell this excess capacity to countries that are over their targets,â according to the United Nations. Based on Civil Eatsâ reporting, Bayer/Monsanto with Climate FieldView and Corteva with its Carbon Solutions program, cite their pesticide products as […]
Posted in Alternatives/Organics, Bayer, Climate Change, Corteva, Pesticide Mixtures, Pesticide Regulation, Uncategorized | No Comments »
19
Aug
(Beyond Pesticides, August 19, 2024) As a local news outlet in Virginia covers a local farm receiving organic certification, Beyond Pesticides launches an action this week to âtake back organicâ âin response to prominent agricultural forces and industry interests attempting to weaken organic standards and blur the line between certified organic and “regenerative” practices that are not organic-certified. In an article, VMRCâs Farm at Willow Run is certified organic [VMRC is the Virginia Mennonite Retirement Community], Rocktown Now quotes the farm manager in Harrisonburg, VA, Nate Clark, saying, âThis milestone demonstrates our dedication to providing high-quality, healthy food to our residents and community while also prioritizing environmental sustainability.â The article reports that as a certified organic farm with detailed records of the farmâs field and harvest activities and materials, subject to annual inspections, âVMRC is committed to regenerative farming practices that promote soil health, energy conservation and fair working conditions.â âRegenerativeâ agriculture or land management that is not certified organic raises a series of questions about its lack of a standard definition that is enforceable under a compliance system. Beyond Pesticidesâ piece on the subject, âRegenerativeâ Agriculture Still Misses the Mark in Defining a Path to a Livable Future,â explores […]
Posted in Alternatives/Organics, Biodiversity, Climate, Climate Change, National Organic Standards Board/National Organic Program, Organic Foods Production Act OFPA, Regenerative, Take Action, Uncategorized, US Department of Agriculture (USDA), Virginia | No Comments »
03
Jul
(Beyond Pesticides, July 3, 2024) In June, the Vermont legislature officially passed H.706 into law â a bill that narrows and reduces the use of neonicotinoid insecticides and neonicotinoid-treated seeds. The legislature came together to override a veto of the bill issued by Governor Phil Scott (R). Gov. Scott said the billâs language had âthe potential to produce severe unintended environmental and economic consequencesââparticularly for Vermontâs dairy farmers.â The advocacy in support of the legislation called for a holistic, systems change approach to legislative priorities that considers economic, ecological, public health, and climate resilience. The Vermont legislation builds on New York legislation, which in turn is inspired by Quebecâs âverification of needâ prescription model (a.k.a. emergency exemptions) that has proven to dramatically reduce the use of certain neonicotinoids, yet enables the continued use of toxic pesticides and a legacy of pesticide dependency in land management and crop production. Vermont Bill Building on New York The Vermont Bill (See pages 29 to 44 for final text) mirrors the language of New Yorkâs Birds and Bees Protection Act (S. 1856-A and A. 7640) and adopts New Yorkâs language on timing regarding when critical sections go into effect. The Vermont language contains trigger language that […]
Posted in Biodiversity, Canada, diamides, neonicotinoids, New York, Quebec, Uncategorized, Vermont | No Comments »
28
May
(Beyond Pesticides, May 28, 2024) Public comments are due May 29, 2024. With 40 percent of all vegetables grown in the U.S. coming from the state of California, the current state level process to define âregenerative agricultureâ could have major impact on land management practices that address the current climate, biodiversity, and health crises. That is, according to advocates, if the process, directed by the California Department of Food and Agriculture (CDFA) departs from a history of poorly defined and unenforceable terms like Integrated Pest Management (IPM) and Sustainable Agriculture. Virtually all consumers of food have a stake in the outcome of the definition of âregenerative,â so the current public comment period, which closes tomorrow, May 29, 2024, can help influence the outcome. As Beyond Pesticides has reported previously, the term âregenerativeâ is now increasingly being advanced as a loosely defined alternative to the organic standard and label, which is transparent, defined, certified, enforced, and subject to public input. The  publication AgFunderNews (AFN) in February published its updated â2024 list of agrifood corporates making regenerative agriculture commitments,â a whoâs who of the largest food and agribusiness corporations worldwide. The list includes companies such as ADM, Cargill, Danone, General Mills, Tyson, Unilever, Walmart, and more with commitments […]
Posted in Agriculture, Alternatives/Organics, California, Regenerative, Take Action, Uncategorized, US Department of Agriculture (USDA) | 1 Comment »
07
May
(Beyond Pesticides, May 7, 2024) The marginal user costs (MUC) of pesticide resistance for chemical-intensive farmers and the pest management industry are significantly affected by pesticide costs, density dependence (growth rate of a pest population impacted by its density), and dominant genetic mutations that cause resistance, according to a novel study published in Journal of the Agricultural and Applied Economics Association. Although the authors believe that integrated pest management (IPM) can be fine-tuned based on these findings, many advocates believe that these findings in fact underscore the importance of eliminating toxic pesticide use amidst compounding climate, biodiversity, and public health crisesâwhich many IPM strategies do not adequately address. As the costs of petrochemical-based pesticides increase, organisms identified as pests continue to increase in population density as global and regional temperatures dually increase. Organic agriculture, and organic land management principles more broadly, are an economically and ecologically advantageous leap ahead in transitioning to a food system that moves beyond the status quo that poisons people and the planet. âThis paper seeks to develop a better understanding of how the user costs of resistance are potentially determined by the interactions of heterogeneous bioeconomic factors that vary by context,â say the study authors. […]
Posted in Antibiotic Resistance, Integrated and Organic Pest Management, Pesticide Efficacy, Uncategorized | No Comments »
01
Apr
(Beyond Pesticides, April 1, 2024) Comments are due 11:59 pm EDT, Wednesday, April 3. For the public comment periodâdeadline Wednesday, April 3âin the lead up to the National Organic Standard Board (NOSB) meeting, advocates have identified the following priority issues: Getting plastics our of organic; Removing endocrine disrupting nonylphenols (NPs) and nonylphenol ethoxylates (NPEs) iodine from dairy production and replace with available alternatives; and Continuing to improve the science supporting ongoing decisions of the NOSB. (See below for details and opportunity to submit comments on these with one click!) Previously, Beyond Pesticides has reported on three additional priority issues, including; Reject the petition to allow unspecified âcompostable materialsâ in compost allowed in organic production; Eliminate nonorganic ingredients in processed organic foods as a part of the Boardâs sunset review of allowed materials; and Ensure that so-called âinertâ ingredients in the products used in organic production meet the criteria in OFPA with an NOSB assessment. (Please see the prior action on these issues and submit comments, if not done previously.) Beyond Pesticides asks the public to join in commenting on priority issues that protect health and the environment as part of the upcoming NOSB meeting. The NOSB is receiving written comments from the […]
Posted in Alternatives/Organics, Take Action, Uncategorized, US Department of Agriculture (USDA) | 1 Comment »
07
Mar
(Beyond Pesticides, March 7, 2024) As the threats to health, biodiversity, and climate converge in agricultural policy and practices, the question of defining the fundamental changes necessary to reverse these existential crises takes on life-sustaining importance. Despite the existence of an organic community with governing stakeholders (farmers, consumers, conservationists, retailers, processors, inspectors, and scientists) that has evolved over at least seven decades and is codified in the Organic Foods Production Act (OFPA) of 1990, the term âregenerativeâ is now increasingly being advanced as a loosely defined alternative to the organic standard and label, which is transparent, defined, certified, enforced, and subject to public input. The publication AgFunderNews (AFN) last month published its updated â2024 list of agrifood corporates making regenerative agriculture commitments,â a whoâs who of the largest food and agribusiness corporations worldwide. The list includes companies such as ADM, Cargill, Danone, General Mills, Tyson, Unilever, Walmart, and more with commitments to millions of acres in their supply chain practicing âregenerativeâ agriculture with target dates ranging from 2024 to 2050. The AFN author reporting on the âregenerativeâ trend states, â[O]ne big challenge is that âregenerative agricultureâ still has no set definition. While that still holds true, the bigger observation in […]
Posted in Agriculture, California, Cargill, Climate, General Mills, Regenerative, soil health, TruGreen, Uncategorized, Wal-Mart | No Comments »
07
Feb
(Beyond Pesticides, February 7, 2024) Sun + Earth Certified (SEC), a West Coast third-party regenerative organic certifier of cannabis products, approved the first certification for an East Coast farm in Brattleboro, Vermont â Rebel Grown. The expansion of independent certifications amidst the ongoing legalization of recreational and medicinal marijuana usage raises questions on the regulation of toxic petrochemical pesticides found in a range of cannabis products. SEC does establish, in its standards, the use of âbiopesticides…[o]nly if the product brand name is approved for use in certified organic farming.â Additionally, the label goes beyond the stringency of the National Organic Program in its policy on potassium bicarbonate as an approved input. For example, SEC standards dictate that this input should be, â[f]or pest control as a last resort only… [and] only if the product brand name is approved for use in certified organic farming.â Rebel Grownâ the new farm that acquired the SEC label â owner reported to Brattleboro Reformer, “Cannabis grown regeneratively, under the sun and in the soil, without toxic chemicals, is not only high quality but also the best for the earth.â Before delving into the weeds, there is important legal context on current regulations regarding marijuana […]
Posted in Agriculture, Alternatives/Organics, California, Cannabis, Pesticide Regulation, Pesticide Residues, Poisoning, Regenerative, Uncategorized, Vermont | No Comments »
22
Jan
(Beyond Pesticides, January 22, 2024) Today, Monday, January 22, is the last day for public comment on a three-year extension of U.S. Department of Agricultureâs (through its Agricultural Marketing Serviceâs National Organic Program (NOP)) authority to collect information from certifiers entrusted with ensuring compliance with organic standards. Beyond Pesticides, along with allied organizations and organic advocates, is urging USDA to use this process to clarify the need for USDA to collect key information needed to verify compliance with key language in OFPA (Section 6513(b))âa provision that requires farming practices that âfoster soil fertility.â Advocates maintain that information on organic farmersâ practices to foster soil fertility, required in the law, is critical to organic integrity, public trust in the organic label, and certifier responsibility. As USDA states, âThe Organic Foods Production Act of 1990 (OFPA), as amended (7 U.S.C. 6501â6524), authorized the Secretary of Agriculture to establish the National Organic Program (NOP) and accredit certifying agents to certify that farms and businesses meet national organic standards. Under OFPA, the purpose of the NOP is to: (1) establish national standards governing the marketing of certain agricultural products as organically produced products; (2) assure consumers that organically produced products meet a consistent standard; […]
Posted in Agriculture, Alternatives/Organics, soil health, Take Action, Uncategorized, US Department of Agriculture (USDA) | 2 Comments »
11
Dec
Update: This Daily News is updated to address the organic status of the company cited in the piece, Merchantâs Garden. The article now indicates that the company is certified as organic under a different name (Merchantâs Garden Agrotech) than the name used in the USDA press release. As a result, their name did not appear in USDA’s Organic Integrity Database (OID) at the time of the original Daily News and Action of the Week posting. USDA updated OID on December 8, 2023, the same day that it received a complaint on this matter from former National Organic Standard Board chair Jim Riddle. The critical focus of the piece remains the same: It is not disclosed to consumers on food products labeled “organic” when that food or ingredients are grown hydroponically. Beyond Pesticides, as indicated in the article, views hydroponic as a conventional growing practice that does not meet the spirit and intent of the organic system, as defined in the Organic Foods Production Act. (Beyond Pesticides, December 11, 2023) U.S. Department of Agriculture (USDA) Secretary Tom Vilsack announced on November 27, 2023 funding that appears to be supporting the expansion of âorganicâ hydroponic, an approach to food production that has […]
Posted in Agriculture, Alternatives/Organics, Biodiversity, Hydroponics, National Organic Standards Board/National Organic Program, soil health, Uncategorized, US Department of Agriculture (USDA) | 1 Comment »