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Martha Noble

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Dairy Cows (20-40x human): 700 dairy cows 14,000 to 28,000 human ... 45,000 dairy cows 900,000 to 1.8 million people 'typical' Midwest CAFO about 2,000 dairy cows ... – PowerPoint PPT presentation

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Title: Martha Noble


1

CLEAN WATER NETWORK  "America's Water Crisis"
Factory Farms It's What's NOT For Dinner! The
hidden costs of getting food on your table
CAPITOL HILL BRIEFING  RECEPTION June 2, 2009
  • Martha Noble
  • Senior Policy Associate

2
National Sustainable Agriculture Coalition
  • Founded 1988
  • National coalition of over 40 grassroots family
    farm, conservation, rural development member
    groups
  • Farm Bill Wins
  • Sustainable Agriculture Research Education
    Program (SARE)
  • Conservation Stewardship Program
  • Value-Added Producers Grant Program
  • Farmers Market Promotion
  • Organic Cert. Cost Share,
  • Wetlands Reserve Program
  • Beginning Farmer Rancher Development Program
  • and more
  • www.sustainableagriculture.net
  • Photo Credits Practical Farmers of Iowa (top)

3
Todays Briefing on CAFOs(Concentrated Animal
Feeding Operations)
  • Recent developments
  • Public health issues
  • Federal regulation
  • Litigation
  • with focus on water
  • pollution issues

4
EPA Regulatory Definition AFO
  • EPA Animal Feeding Operation (AFO)
  • Animal Feeding Operation (AFO) - A lot or
    facility (other than an aquatic animal production
    facility) where both of the following conditions
    are met
  • 1) Animals have been, are, or will be stabled or
    confined and fed or maintained for a total of 45
    days or more in any 12 month period,
  • and
  • 2) Crops, vegetation, forage growth, or
    post-harvest residues are not sustained in the
    normal growing season over any portion of the lot
    or facility. 40 Code of Federal Regulation (CFR)
    Part 122.23(b)(1)

5
EPA Regulatory Thresholds Large CAFOs
  • Animal Type Threshold
  • Mature Dairy Cows 700
  • Veal Calves 1,000
  • Beef Cattle or Heifers 1,000
  • Swine 2,500 (55 lbs or more)
  • 10,000 (under 55 lbs)
  • Horses 500
  • Sheep or Lambs 10,000
  • Turkeys 55,000
  • Chickens, liquid manure 30,000
  • Chickens, other than liquid manure 125,000 (not
    laying hens)
  • 82, 000 (laying hens)
  • Ducks 5,000 (liquid manure)
  • 30,000 (other than liquid manure)

6
Comparison CAFO Wastestream with Human Equivalent
  • Dairy Cows (20-40x human)
  • 700 dairy cows 14,000 to 28,000 human
  • Three Mile Canyon Dairy Complex (OR)
  • 45,000 dairy cows 900,000 to 1.8 million people
  • typical Midwest CAFO about 2,000 dairy cows
  • 40,000 80,000 humans
  • Hog Operations (3x Human)
  • 2,500 hogs 7,500 human
  • Duplin County NC 2.2 million hogs (of the 10
    million in NC) impacting 50,000 residents do
    the math! As well as 10 million turkeys and 32
    million chickens.

7
Bush Administration Free Passes for CAFO
Pollution
  • Bush Administration 2008 midnight regulations
  • Revised Clean Water Act CAFO Regulation (Fed.
    Reg. Nov. 20, 2008).
  • Exemptions for CAFOs from the hazardous air
    emission reporting requirements under the
    Superfund Act and the Emergency Planning
    Community Right to Know Act (Fed. Reg. Dec. 18,
    2008).
  • Voluntary Air Compliance Agreements between EPA
    and CAFOs continues under which EPA will not
    bring actions against CAFOs for air emissions in
    violation of the Clean Air Act, CERCLA or EPCRA
    (Consent Agreement 2005).

8
2008 Revised Clean Water Act CAFO
RegulationSelf-Certification
  • Allows a CAFO operator or owner to avoid
    obtaining a NPDES permit with a
    self-certification that the CAFO is a
    no-discharge operation. Self-certification
    also requires that regulatory agency bears burden
    of prove that CAFO did not meet requirements for
    no discharge.
  • Self-certification process does not require site
    visits by a regulatory agency or notification to
    the public.
  • A CAFO which has a discharge may re-certify that
    it has solved the problem and avoid a NPDES
    permit.
  • A CAFO which has had discharge from one source at
    the CAFO may discharge from another source and
    recertify that it as solved the 2d problem, or a
    3d problem or 4th problem . . . .

9
2008 Revised Clean Water Act CAFO Regulation
Inadequate Pathogen Measures
  • EPA did not identify any economically achievable,
    technologically available, and cost reasonable
    technologies on which to establish national
    effluent limitations for fecal coliform.
  • EPA affirmed the Best Conventional Technology
    limitations are the same as the 2003 rule BPT and
    Best Achievable Technology AT limitations
  • No discharge from production area.
  • Limited exemption for precipitation-based
    overflows under specified conditions.
  • Land application rates that minimize transport of
    nutrients required setback or vegetated buffer.

10
Comments of Michigan Department of Environmental
Quality on Revised CAFO Clean Water Act
Regulation
  • We strongly recommend that the USEPA withdraw
    the proposal for the voluntary option for CAFOs
    to certify that the CAFO does not discharge or
    propose to discharge. We believe that this
    option as proposed is seriously flawed. This
    provision appears to have been advanced by the
    lobbyists for the factory farms as a self-serving
    means of exempting factory farms from regulation,
    contrary to any other sector regulated under the
    Clean Water Act. Instead, we recommend that the
    USEPA refocus its efforts on clearly identifying
    the attributes that will constitute a discharge
    or proposal of discharge . . . .
  • . . . we find no authority in the Clean Water
    Act that allows the USEPA to establish a
    self-certification process in lieu of a permit
    for dischargers, let alone to arbitrarily
    establish such a process for a select group of
    dischargers contrary to how all other discharges
    are regulated. This proposal, if enacted, would
    undoubtedly result in additional litigation and
    the resulting confusion that it would bring.
    This provision also attempts to negate the
    citizen rights to sue provisions of the Clean
    Water Act by eliminating a statutory provision by
    administrative regulations.

11
Industry Challenges to 2008 Clean Water Act CAFO
Rule
  • The National Chicken Council and the US Poultry
    and Egg Association are challenging aspects of
    the 2008 revised regulation in the US Court of
    Appeals for the Fifth Circuit.
  • Lawsuit challenges EPA guidance letter documents
    that interpret the CAFO regulation. According to
    the two organizations, the letters essentially
    say a grower has a 'proposal to discharge' and
    therefore must apply for a NPDES permit, if
    poultry housing has a ventilation fan that may
    potentially exhaust dust or other substances on
    the ground where rain water might wash them into
    a ditch leading to surface waters.

12
Exemption from CERCLA EPCRA Reporting
Requirements
  • Partial exemption for CAFOs from reporting
    hazardous air emissions under the Comprehensive
    Environmental Response, Compensation and
    Liability Act (CERCLA) and Emergency Planning
    Community Right-to-Know Act (EPCRA) hazardous
    substance from animal waste at farms including
    ammonia and hydrogen sulfide.
  • CERCLA exemption applies to all CAFOs based on
    EPA officials determination that the agency is
    unlikely to respond to a report of hazardous air
    emissions from a CAFO.
  • EPCRA exemption applies to CAFOs with less than
    1000 animal units (the Clean Water Act NPDES
    permit threshold large CAFOs.)
  • General Accountability Office Report GAO,
    Concentrated Animal Feeding Operations EPA Needs
    More Information and a Clearly Defined Strategy
    to Protect Air and Water Quality from Pollutants
    of Concern, GAO-08-944 (Washington, D.C. Sept.
    4, 2008) and congressional testimony.

13
2008 Farm Bill Subsidies
  • No comprehensive reform of farm bill commodity
    payments to producers of corn, soybeans, rice,
    cotton, and other row crops.
  • Why a CAFO issue?? Between 2000 and 2004, farm
    bill subsidies for corn and soybean provided the
    industrial animal factory sector with over 18
    billion of indirect public subsidies for their
    feed costs. See Dennis Olsen, Below Cost Feed
    Crops An Indirect Subsidy for Industrial Animal
    Factories Institute for Agriculture and Trade
    Policy June 2006)(on the web at
    http//www.agobservatory.org/library.cfm?refid881
    22).
  • Environmental Quality Incentives Program and
    other measures in the federal Farm Bill also
    provide subsidies for capital infrastructure and
    other CAFO costs. Union of Concerned Scientists,
    CAFOs Uncovered The Untold Costs of Confined
    Animal Feeding Operations (2008)(on the web at
    http//www.ucsusa.org/food_and_environment/sustain
    able_food/cafos-uncovered.html).

14
Clean Water Restoration Act (CWRA), S.787
  • Why a CAFO Issue?
  • Recent U.S. Supreme Court cases and Bush
    administration regulations have narrowed the
    scope of Clean Water Act jurisdiction, leaving
    many important waters unprotected.
  • Even when EPA ultimately issues effective CAFO
    Clean Water Act regulations, CAFO pollution of
    waters not within the scope of the Clean Water
    Act will not be protected.
  • The Clean Water Network members urge members of
    Congress to support the CWARA and restore Clean
    Water Act protection to the waters of the United
    States. See www.cleanwaternetwork.org Scope of
    the Clean Water Act.

15
Need for Continuing Congressional Oversight of
CAFO Animal Production
  • The Clean Water Network appreciates previous
    congressional hearings on CAFOs impacts on the
    nations water and its rural communities. We urge
    Congress to continue its oversight of EPA to
  • Ensure that CAFO regulations meet the
    requirements of the Clean Water Act.
  • Ensure that CAFOs fully comply with the Clean Air
    Act, CERCLA and EPCRA.
  • Ensure that antibiotics needed for protection of
    human health are not used non-therapeutically in
    animal agriculture support the Preservation of
    Antibiotics for Medical Treatment Act (HR1549 and
    S619).

16
Stay Informed!
  • www.sustainableagriculture.net
  • Farm Bill Implementation Center
  • Weekly Updates Timely Action Alerts
  • Background information
  • Contact Aimee Witteman // awitteman_at_sustainableag
    riculture.net
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