Of highest importance.--Tom
 
 
In a message dated 6/20/2013 1:07:38 P.M. Central Daylight Time,  
[log in to unmask] writes:

We contributed to this action.
Laurel Hopwood, Chair, Sierra Club Genetic  Engineering Action Team


June 20, 2013
President Barack Obama
The White House 1600  Pennsylvania Avenue NW Washington, DC 20500

Urgent Appeal - neonicotinoid  insecticides

Dear Mr. President,
We write to highlight a  very important concern: the negative environmental 
and economic impacts of  outdoor uses of the EPA-approved neonicotinoid 
insecticides: imidacloprid,  clothianidin, thiamethoxam, dinetofuran and 
acetamiprid. On April 29, the  European Union voted for a two-year suspension on 
major uses of the three most  common neonicotinoids: imidacloprid, 
clothianidin and thiamethoxam. The  decision came on the heels of comprehensive, 
peer-reviewed research conducted  by the European Food Safety Authority (EFSA), 
which indicated that those three  insecticides pose both acute and chronic 
hazards to honey bees and that  significant gaps exist in the data needed to 
assess their safety. The EU  decision signals the way forward for your 
Administration to suspend  neonicotinoids in the United States.

The undersigned groups are very concerned with  EPA's past approvals of 
these insecticides. Agency officials have acknowledged  that here, as in 
Europe, the original risk assessments and registration data  requirements focused 
on acute honey bee mortality and failed to adequately  consider other key 
risks to colony health. This means the hundreds of  EPA-approved neonicotinoid 
products were approved based on inadequate  assessments. This is 
unacceptable in view of the fact that honey bee  pollination is a $20 to 30 billion 
per year contributor to U.S. agriculture  and vital to the majority of fruit 
and vegetable produce. 2

In the face of severely declining bee colonies  nationally - with 
beekeepers reporting record losses this year - it would not  be responsible to 
continue to allow these threatening compounds to be used so  broadly. Independent 
scientists and commercial beekeepers attribute dramatic  bee die-offs to a 
combination of factors, but exposure to neonicotinoids is a  key contributor.


We are asking you as Chief Executive to direct the  EPA to follow the EU 
and EFSA lead and recognize the risks are unacceptably  high. Pollination 
services provided by honey bees and the other even  less-studied wild bees are 
far too important for agriculture, gardens and wild  plants to treat them in 
a non-precautionary manner. Many thousands of  beekeeper livelihoods, and 
indeed the future viability of commercial  beekeeping and the crops relying on 
these pollination services, are  potentially in jeopardy. Experts have 
identified the potential for "domino  effects" of cascading inadequate crop 
pollination due to shortage of viable  pollinators. This could rapidly evolve 
into devastating, perhaps irreversible,  losses to farmers, consumers and the 
economy as a whole, which relies on  domestically-produced bee-pollinated 
food and fiber crops.

In recent statements about the EU's decision,  EPA officials highlighted a 
recent USDA report, the Report on the National  Stakeholders Conference on 
Honey Bee Health - National Honey Bee Health  Stakeholder Conference Steering 
Committee. Unlike the peer-reviewed,  scientific EFSA report, the USDA 
report was not peer-reviewed; it derived from  a meeting of numerous 
stakeholders including many non-scientists. It is dated  and not comprehensive.


Further, there was not consensus among the  stakeholders on the statements 
in the final report.
We would like to bring your attention to recent  acknowledgments of key 
facts by EPA officials, made in public statements at  recent meetings, in media 
statements, in EPA documents and other venues:
*  They acknowledged EPA's enforcement guidance for neonicotinoid use was  
inadequate.
* They acknowledged EPA's bee kill incident reporting system  was 
inadequate.
* They have stated the labels on neonicotinoid  products are inadequate to 
mitigate adverse environmental effects,  specifically to avoid seed 
dust-mediated mortality to honey bees and other  beneficial insects in or near corn 
fields.
* They recognize the current corn planting machinery  poses significant 
dust-off risks and needs changing, while also recognizing  that such changes 
will likely take many years and stating that EPA lacks  authority to mandate 
machinery changes.
* They acknowledge that bee health and populations,  and crop pollination, 
are in a near-crisis state based on several synergistic  factors including 
insecticide use.
* They indicated the agency has not  consulted with the U.S. Fish and 
Wildlife Service on potential effects on  threatened or endangered species under 
Sec. 7 of the Endangered Species Act  for the neonicotinoid insecticides.

Despite the above, EPA has refused to exercise its  regulatory power to 
address the one factor it could address tomorrow - the  major contribution of 
these insecticide to bee declines - and instead has  pointed to land use 
decisions, crop planting choices by farmers, pathogens,  bee nutrition and other 
factors over which EPA has no authority. Indeed, no  other Federal agency 3 
has the power to help stem bee declines by addressing  any of those 
synergistic factors within a reasonable timeframe.

We would like to further highlight a broader  threat: water contamination 
by imidacloprid, clothianidin, thiamethoxam and  the other compounds, the 
effect of which is to "sterilize" much of the  invertebrate food chain, 
threatening insects, fish, amphibians and other taxa,  including, but not limited 
to, aquatic and insectivorous birds. Recently, the  American Bird Conservancy 
(ABC) released a report, The Impact of the Nation's  Most Widely Used 
Insecticides on Birds, researched by an  internationally-recognized avian 
toxicologist, Pierre Mineau, who examined the  key EPA risk assessment documents 
and found numerous failures in the agency's  approvals. The report showed high 
direct and indirect mortality risks to a  broad suite of birds, as well as 
to aquatic invertebrates and ecosystems  generally. It found that the 
observed acute threats from water contamination  by EPA-approved neonicotinoids 
"may be totally unprecedented in the history of  pesticide registration". It 
also stated: "EPA has not been heeding the  warnings of its own 
toxicologists". Dr. Mineau examined the approved product  labels and found them 
inadequate, stating "regulators are clearly mistaken in  believing that exposure to 
treated seed can be minimized by label statements  or adherence to good 
agricultural practices". The report describes EPA's  analysis as "scientifically 
unsound". It urges the agency to suspend use of  these products and to ban 
neonicotinoid seed treatments  altogether.

The leeway for your Administration to somehow  disregard the ABC report was 
drastically reduced by the peer-reviewed  publication in PLOS ONE on May 1 
of this year of a major Dutch study,  Macro-Invertebrate Decline in Surface 
Water Polluted with Imidacloprid. This  multi-year, comprehensive, field 
study states (emphasis added):
While a  large amount of evidence exists from laboratory single species and 
mesocosm  experiments, our study is the first large scale research based on 
multiple  years of actual field monitoring data that shows that 
neonicotinoid  insecticide pollution occurring in surface water has a strong negative 
effect  on aquatic invertebrate life, with potentially far-reaching 
consequences for  the food chain and ecosystem functions.

In short, we could face a second "Silent Spring"  above and beyond the 
threats to managed and wild pollinators. Unfortunately,  EPA's planned deadline 
of completing its Registration Reviews for the major  neonicotinoids by 2018 
is far too slow in view of their potentially calamitous  risks.

We trust you do not want to preside over this  pending crisis. Directing 
EPA to follow the EU's lead would be a first step  but even more protective 
measures are needed, including a minimum two-year  suspension for all outdoor 
uses of neonicotinoid insecticides pending  resolution of their risks.

Thank you for your consideration of this urgent  appeal. We look forward to 
your response.* 4
Sincerely,
American Bird Conservancy
Beyond Pesticides
Californians for Alternatives to Toxics Center for  Environmental Health
Center for Food Safety
Defenders of Wildlife
Food & Water Watch
Friends of the Earth
Northwest Coalition for Alternatives to  Pesticides
Pesticide Action Network North America
Sierra Club
The Xerces Society

CC: Tom Vilsack, Secretary of  Agriculture
Sally Jewell, Secretary of the Interior
Nancy Sutley, Chair,  Council on Environmental Quality
Bob Perciasepe, Acting Administrator,  EPA
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