Title: PIP SA Meeting Johannesburg 11062004
1PIP SA MeetingJohannesburg 11/06/2004
- New European regulation
- Implications and Perspectives
- Impact on horticultural ACP countries exports to
Europe - Pesticides Initiative Programme implementation
- Roland M. Levy Regulation and Residues
Pesticides Initiative Programme
2- Table of Contents
- Situation update on EU legislation
- related mainly with Residues
- Strategy of COLEACP/PIP programme
3(No Transcript)
4Regulatory Context Higher standards regarding
consumers safety
- New facts creation of the European Food Safety
Agency (EFSA) - New legislative tools regarding residues of Plant
Protection Products
5New facts creation of the European Food
Safety Authority (EFSA)
- To ensure a uniform and high level of protection
of the consumers health and put more confidence
in a new system following all recent EU food
crisis. - Impact more control, the evaluation of Plant
Protection Products will be transferred to this
new organisation, thus transparency .. - Responsibility of the Food safety will be given
to all different actors responsible of the
production of food, - Member States will conduct monitoring and the
European Commission will ensure system is
efficient through audit and control measures.
6 New EU legislation related to Residues
announced by D.Byrne, March 2003 EU
Commissioner for health and Consumer protection
- 4 existing EU MRLs Directives replaced
- with one single regulation CONSOLIDATION
- New procedures are acting through
- regulations rather than directives
SIMPLIFICATION - Transfer Risk Assessment procedure and
- the MRL proposals to EFSA EFFICIENCY
- Problems of non harmonised substances
- (EU MRLs) should be solved through
PRACTICAL measures -
7 MRLs - Definitions
- Definitions MRL
- Maximum residue levels (MRLs) reflect the use of
minimum quantities of pesticides to achieve
effective plant protection, applied in such a
manner that the amount of residue is the smallest
practicable and is toxicologically acceptable. - MRLs are representing the maximum quantity of
residues in the raw commodity of plant or animal
origin (sometimes after processing) after an
application of a pesticide according to Good
Agricultural Practices (GAP). -
8 MRLs - Definitions
- In other words, MRLs are strictly based on
- Good Agricultural Practices (GAP).
- GAP are authorised agricultural practices
related to Pest Control and are defined as
follows (for a specific crop) - formulation type,
- application pattern,
- applied dose,
- number of applications,
- pre-harvest Interval (PHI)
- if GAP is different, MRL may be different
9 How EU MRLs are set
- 1 Definition of the relevant residues (parent
and/or metabolites) - 2 Compile existing residue results or conduct
new residue studies, according to authorised
GAPs in Europe. Basis crop grouping and
extrapolation - 3 Select relevant data corresponding to THE
CRITICAL GAP - 4 Statistical evaluation of data
- 5 Estimate potential ingestion to consumers
and compare with toxicological end-point
(chronic and acute when necessary). Same for
consumer population potentially at risk, when
necessary ie toddlers, infants.. - 6 Submit to relevant Regulatory Authority,
National authority, RMS or European Commission - 7 wait, wait
-
-
10EU MRLs Practical example
- Basis to set EU MRLs
- Definitions classification of crops in
major/minor/very minor - major crops consumption 7.5 g/jour (adult)
- gt 10000 ha
- gt 200 000 t/an
- minor/very minor by list
- Studies should be conducted in different
geographical zones so as to representing the
impact of potential variability in the different
results following application Northern EU,
Southern EU, Greenhouses when necessary. - For MRL setting procedure, the choice of the
crop to be tested should be optimised taken into
account crop grouping and possibility to
extrapolate. -
- Definitions from the Document 7525/VI/95 rev 7
of 12/06/2001 p.8
11 MRLs EU Crop grouping (minor/major)
12Minor crops and exotic fruits
- DG SANCO reconsider the idea of crop grouping ?
IR-4 of US EPA (Environment Protection Agency)
which created 15 groups of crops and for each of
them a working group of experts. Unfortunately,
DG SANCO is not in a position to dedicate that
many people to study problems related with minor
crops - Nevertheless, after having defined the crop
groups, DG SANCO has decided to require IT only
for one or maximum 2 main crops of the group and
extrapolate the values to all the other crops
13- The suggestion is to use as often as possible the
MRL extrapolation procedure - The crop grouping a long lasting procedure is,
the more so that it requires at least one
registration per group in the application
country. - Pesticides manufacturers are reluctant in
starting a registration procedure for a minor or
very minor crop.
14 MRLs Example of Extrapolation Application
close to harvest
15 MRLs
- Conclusion
- MRLs are a quantitative way to ensure that the
products are applied according to registered
uses. It should be clear that it is considered
illegal to import or commercialise products with
a residue level higher than the considered MRL. - MRLs are
- Regulatory limits with a legal basis for the
presence of residues in the treated commodities. - Are directly linked to GAP ie to the registered
uses of products - As low as possible to protect consumers
16Relationship EU - WTO
- WTO SPS working group.
- While modifying or fixing an MRL in Europe, DG
SANCO, in charge of european MRLs, must notify
the WTO SPS working group(Sanitary and
Phytosanitary). -
- Everybody has the possibility of reacting during
a period of 2 months, after which, if no comment,
the decision is implemented.(2,4-D on citrus in
June 2003)
17Relationship EU - WTO
- 2. WTO TBT working group.
- Before withdrawing an active substance from the
Directive 91/414 list , DG SANCO must notify it
to the WTO TBT working group (Technical Barrier
to Trade) -
- Everybody has the possibility of reacting during
a period of 2 months, after which, if no comment,
the decision is implemented. - The notification procedure applies to all
countries of the world
18- Impact of the 91/414/EEC Directive on MRLs
- Review
- New Active Substances (AS)
19 EU Review Existing Active Ingredients
-
- Step 1 90 active substances Regulation
3600/92/CE - Submission dossiers in 1994
- Step 2 149 active substances Regulation
451/2000/CE - Submission dossier 2002
- Step 3 399 active substances Regulation
451/2000/CE - Submission dossier 2003 and 2004
- Step 4 277 active substances Regulation
1112/2002 - Submission dossier ? Modification in 2004 (100
new products) - TOTAL 838 active substances on the EU market
after July 1993
20 EU Review Existing Active Ingredients as per
91/414/EEC
-
- In 2004, where do we stand?
21 Directive EU 91/414/EC Situation May.2003
- Existing A.S.
- List Nr a.s Annex 1 Withdrawn
On-going Date of completion - 1 90 AS 40
26 24 2005 - 2 147 AS -
96 51 2005 - 3 404 AS -
238 166 2008 - 4 373 AS -
87 286 2008 -
_____ - Total 40
446 - New AS (chemicalsmicroorg)
- Annex 1 Withdrawn On-going
Total - 51 7 47
98 - At present (May. 2003) Annex I 89 AS, 476
withdrawn (incl. 19 not PPP)
22Directive EU 91/414/EC Situation May. 2003
- Status regarding MRL (w/o µorg.)
-
- Annex 1 likely to stay Harmonised
Not harmonised - Existing AS 40 417
94 323 - New AS 51 100
23 77 - Total 91 517 117
ca. 400 - Withdrawn
Harmonised Not harmonised - Existing AS 446
63 376 - New AS 7
21(provis.) 0 - Other (79/117/EEC) 17
17 0 - Total 470
101 ca. 376 - Grand Total 218 ca. 776
23Consequences of listing on Annex 1
- Member State review of existing registrations
- 6 months given to registration holders for
decision - - if data protection rules not satisfied,
withdrawal - (example in France registration granted for
deltamethrin to a distributor in November 2003
now listed on Annex 1 . Due to data protection,
this registration will be probably withdrawn in
May 2004) - - if data sharing accepted cost is prohibitive.
-
24- Although data protection is fully understandable
for the so-called new molecules, actually already
protected by a patent, protection for another 10
years, for existing molecules, as foreseen in the
new proposal becomes really surrealistic and
leads to a non acknowledged monopoly given to the
main manufacturers.
25 Trading Issues an example
- Example of Prochloraz on Mango (post-harvest
fungicide) - Until 08/2003 no harmonised EU MRL for
prochloraz. - In France no MRL, Germany 2 mg/kg, Belgium 3
mg/kg, Spain 5 mg/kg. - In 1997, import in Germany followed by France was
attracting goods consignement and penalties for
the French import company. Nowadays MRL is
harmonised at 5 mg/kg (EU Directive 79/2002)
dated October, 2nd 2002 with effect in all MS by
August, 1st 2003.
26Harmonisation difficulties
- Each member state can fix its own MRLs
- For a same couple A.S./crop MRLs could differ
from an MS to another. - No application of EU free circulation rules.
- Arbitrage Directive 97/41 amending Dir.90/642
does not apply the procedure is too complicated
and too long - No action is really taken at Commission level by
importers - If no objection raised by EU Parliament to
Sturdys report on new proposal, in the most
optimistic case, the new regulation could be
implemented in 2006.
27Harmonisation difficulties
- For the moment DG SANCO is setting up a data base
gathering all national MRLs with the idea of
harmonising them even before the implementation
of the new regulation. The idea is to select the
critical MRL, actually the highest national
one and to consider it as the temporary
harmonised EU MRL with a validity of 4 years. - Deadline end of 2004, realism or utopia?
-
- But each MS is eager to show how tough it is in
protecting consumer health by being reluctant to
easily modify its own MRLs.
28 EU Review Existing Active Ingredients EU
Review 4th list
- Regulation 1112/2002
- 377 active substances (since April 2004, due to
the 10 new MS) - Notification to be submitted before 30/10/2002
includes - Microorganisms
- Authorised substances in feedstuffs
- Plant extracts
- Pheromones, attractants, repellants
- Industrial products (sulfuric acid)
- Rodenticides
- Others like ethanol, nicotine, rotenone
- Sulfur compounds and ethylene (COLEACP for
banana)
29 EU New Active Ingredients
-
- New active substances
- Active Substances first authorisation after July
1993 - Provisional approval lead to provisional /
temporary MRL to facilitate trading. -
30 EU MRLs change in Procedure Proposals
(applic. 2004?)
- When no harmonised MRL, MRLs could be set by
Member States leading to potential trading issues - New proposal MS will not set anymore MRLs
- EFSA will propose MRLs to European Commission
- Key dates 91/414/EEC 2003 and 2008
- Key dates Residue legislation 2004
- ca. 446 substances withdrawn
- ca. 400 on the market w/o harmonized MRLs.
31 MRL change in Procedure Proposals (contd)
- MRLs will be deleted if
- no authorised uses,
- insufficient data,
- MRL not safe to consumers..surrogate zero MRL
of 0.01 mg/kg (could be less, mostly AS with very
low ADI). Necessary because of the review where
no analytical method and residue data are
available. - Why 0.01 mg/kg? ? practical experience, consumer
protection, detection by multi-residue methods
32 MRL change in Procedure Proposals (contd)
- Proposal 2 types of MRLs
- Fixed
- collection of all harmonised MRLs irrespective
inclusion in Annex I or not - Temporary
- all substances not having an harmonized MRL (ca.
770 substances). For the 446 withdrawn, default
LOD policy will apply (probably end of 2004)
before moving to fixed MRLs
33MRL change in Procedure Proposals (contd)
- Import tolerances is required when
- 1. A.S authorized in EU, IT requested for
application on a non EU crop (okra) - Crop treated with AS not authorized or withdrawn
inEU, but registered in the country of origin. - If residue level below 0,01mg/kg, no
restriction - If above 0,01mg/kg, requires a full dossier.
- If toxicological issue, no IT could be
granted - 3. Higher residues than harmonized MRLs
34 Import Tolerance dossier (Content)
- The dossier comprises
- Definition of the relevant residue and Method of
Analysis - National certificate of registration
- GAP description and biological justification of
the GAP - Residue data 8 for major crop and 4 for minor in
principle (expert judgement) - Data related to the behaviour of the residues
(metabolism in plant, livestock, feeding studies,
processing, animal metabolism, industrial
process..)
35Import Tolerance dossier (Content)
- MRL proposal
- Toxicological data to establish ADI and Acute
reference dose when relevant - Dietary intake estimates (WHO diet 2003 or Euro
model in preparation) - Other data (CODEX, registration status..)
- Additional data when necessary
36Timeline for Import Tolerance setting
- Whenever the IT request dossier is ready, the
procedure today is as follows - Introduction of the dossier to the DG SANCO in
Brussels - Completeness check
- Dossier submitted to corresponding RMS for
assessment - RMS makes recommendation and sends back dossier
to DG SANCO - DG SANCO organises meeting with working group
residues (WGR) for indicative opinion on
recommendations
37Timeline for Import Tolerance setting
- If agreed upon Notification to the working group
SPS of WTO - After the 2 months notice delay, meeting again of
WGR for final opinion to be transferred onto the
Commission - Commission adopts and publishes through
Directive - Best case 15 months
- Worse case 24-36 months
-
- EC Documents - Doc. 7196/VI/99 rev.1
- - Doc. 2734/SANCO/99
38B. Regulation and Residues
- Priorities selection pesticide/crop according
to Directive 91/414. Reviewed with the EC,
Manufacturers and research institutions - Associated crop experts visiting with the
companies and establishing basic crop
protocols (including IPM, ICM). 8 protocols
are ready and will be discussed in workshops. - List pests and diseases by crop
- Crop selection
- Fruits Pineapples, mangos,
papaya, avocados, passion fruit Vegetables
Beanspeas, cherry tomatoes, okra - Close Contact with the DG Health and Consumer
and partnership agreement with Crop Life
Intl and the pesticides manufacturers -
39B. Regulation and Residues
(continued)
- Define after final selection of the priorities
crop/pesticides a reference technical itinerary
(RTI) taking into account all EU regulation
requirements. - Planning trials programmes with the crop
experts, the manufacturers , local service
providers and authorities for the validation of
Reference Technical Itineraries. Started on
10/03. - Case studies pineapple, papaya, french beans,
cherry tomato - Monitoring and determination of IT requirements
- Preparing, with the manufacturers, MRL/IT
requests through - - experiments (pineapple, papaya, beans)
- - extrapolation (yams)
(Doc.7525/VI/95-rev 7)
40Process of selection of AS (MRL/IT)
Kenya
Ivory Coast
Senegal
Others
Priorities (exhaustive list)
NO
Withdrawal
Alternatives?
Alternatives?
Yes
NO
NO
Retained list
41Pineapple Technical Itinerary(13 - 15 month
Cycle )
- Before plantation herbicidenematicide
- 0 to 8 months plantation / artificial
flowering induction, no residues expected - 8 to 12 months no pesticides used
- 13th month insecticide (1 to 3 weeks b.h.)
degreening (1 week before
harvesting) - Post-harvest fungicide (triadimefon)
42Papaya Technical Itinerary (36 months Cycle)
- Before plantation herbicide
- 6 - 8 months first fruits
- 8 to 36 months weekly harvesting with in
between fungicides and insecticides
spraying - what about PHI and Residues?
- Post-harvest fungicide (prochloraz)
43Beans Technical Itinerary (valid for Western
Africa)(55 to 75 days)
- Seeds treated with fungicide
(thirame) - Before plantation nematicides
- During growth treatement with various
fungicides,
insecticides - Harvest manual harvesting
every other day - (potential issues with PHI and residues)
- Post-harvest no treatment
44B. Regulation and Residues (continued)
- Discussing with local authorities for approvals
(papaya). Manufacturers starting
registration procedure when required with the
cooperation of ACP authorities which should
recognize the specificity of the horticultural
network (export) - Controlling analytical methods for residue
analysis - Determining the exporters needs for residues
control - Suggesting alternatives organic, others
- Checking and reinforcing the local analytical
capacities - Helping in adjusting ACP national and
continental regulation - Setting up specific technical workshops.
Kenya(09/03), Senegal (09/03), Ghana (10/03)
45Request for Import Tolerance
- Residue monitoring studies have been undertaken
and residues measured according to analytical
methods approved by DG SANCO or developed by the
pesticides manufacturers specifically for new
molecules - Two possibilities
- The residue level is ? LOQ which is presently
0,02 - 0,05mg/kg related to the combinations
pesticide/crop and the analytical method used - In that case, PIP will require from DG SANCO
that the LOQ be considered as the real MRL -
- .
46Request for Import Tolerance
- Because, whenever the new regulation comes into
force, the LOQ will automatically be set at - 0,01mg/kg below the present LOQ.
- The residue level is ? LOQ
- The pesticide manufacturer of the active
substance will prepare and introduce the request
for an IT dossier -
- Most of the field trials, besides those for
mango, as well as the residue monitoring should
be completed by the end of 2004.
47Request for Import Tolerance
- By that time, the PPP manufacturers will have to
prepare the IT dossiers to which a local
certificate of registration should be joined. In
many countries, this document is not available - We shall then be needing a provisional approval
in order to proceed with the demand. DG SANCO,
which has approved the field trials and residue
monotoring protocols is accepting the results
obtained in a GLP laboratory to support the
demand without going through the long lasting
residue studies. - If our dossiers are complete and introduced
latest, in the first quarter of 2005, DG SANCO
committed itself in promising IT to be fixed by
the end of 2005 -
48CONCLUSION
- What is the future made of ?
- According to Directive 178/2002 (Art.18),
traceability will become compulsory from January
1st, 2005 onwards. - Many of the supermarkets, mainly from UK or the
Netherlands - will require from their suppliers EUREPGAP
certification. - French supermarkets will set their own
specifications integrating very strictly the new
EU regulation requirements - Some supermarkets will be more demanding residue
level at - 50 of the MRL or even less. What if the MRL is
set at LOD?