Title: Evaluation of Living Modified Organisms as Potential Plant Pests
1Evaluation of Living Modified Organisms as
Potential Plant Pests
International Plant Health Risk Analysis
Workshop October 26, 2005 Niagara Falls
Terri Dunahay, Ph.D. Team Leader
International Policy Biotechnology Regulatory
Services Animal and Plant Health Inspection
Service Terri.G.Dunahay_at_usda.gov
2Overview
- What is an living modified organism (LMO)?
- Evaluation of LMOs as potential plant pests
- Why?
- ISPM-11
- Risk assessment of LMOs in the United States
comparison to ISPM-11
3What is an LMO?
- Living modified organism" means any living
organism that possesses a novel combination of
genetic material obtained through the use of
modern biotechnology - Modern biotechnology includes
- Recombinant DNA and direct injection of nucleic
acid into cells or organelles, or - Fusion of cells beyond the taxonomic family
- Genetically engineered organisms, genetically
modified organisms, GMOs, transgenic
organisms biotech crops
4(No Transcript)
5(No Transcript)
6Global Adoption of Genetically Engineered Crops
(2004)
- (million hectares)
- USA 47.6
- Argentina 16.2
- Canada 5.4
- Brazil 5.0
- China 3.7
- Paraguay 1.2
- India 0.5
- South Africa 0.5
- Uruguay 0.3
- Australia 0.2
- Romania 0.1
- Mexico 0.1
- Spain 0.1
- Philippines 0.1
- Soybeans
- herbicide tolerant
- Corn
- insect resistant (Bt)
- herbicide tolerant
- Cotton
- insect resistant (Bt)
- herbicide tolerant
- Canola
- herbicide tolerant
(ISAAA, 2004)
7- Revised 2004 Pest risk analysis of quarantine
pests including analysis of environmental risks
and living modified organisms - Provides guidance on evaluating LMOs as potential
plant pests - There has been little discussion about practical
implementation of this guidance and relationship
of LMO risk assessment to the conventional PRA
process
8- Why evaluate LMOs as potential plant pests?
- LMOs are generally common plants that have been
modified using modern biotechnology techniques to
add or alter a trait affecting agronomic
properties or product quality - Risk assessment process asks whether this change
could intentionally or unintentionally cause the
engineered organism to be harmful to plants in
agriculture or the environment, as compared to
the non-engineered organism.
9- Use of ISPM-11 for assessment of LMOs
- Initiation Stage of ISPM-11 identification of
pests and pathways of quarantine concern - Most LMOs are not pests
- Often familiar organism with one or more new
traits - Does this trait change the probability that the
organism could cause harm to plants? - Conventional crops first step is to request
Pest List - For LMOs, first determine if the LMO is a
potential pest - Go to Annex 3 provides guidance for determining
the potential for a LMO to be a pest
10- Annex 3 - What characteristics of LMOs might
contribute to increased plant pest risk?
- Donor or recipient organism is a plant pest
- Nucleic acid vector is derived from a plant pest
- Introduced trait increases likelihood for
organisms to become weedy or invasive, for
example, by changing the reproductive or survival
potential - Gene transfer to weedy relatives
- Effects on non-target organisms
- Changes in agronomic practices
- Production of toxins or anti-nutrients
11- Possible conclusions of pest assessment of LMOs
as per Annex 3
- YES - the LMO is found to be a potential pest
- LMO would be subject to Stages 2 and 3 of the
PRA as a potential quarantine pest - NO - LMO is not found to be a pest
- LMO is not subject to further assessment under
ISPM-11 - organism would be subject to same phytosanitary
requirements as conventional counterpart
12How does risk assessment of LMOs in the United
States relate to PRA under ISPM-11?
13- Regulation of LMOs by USDA/APHIS
- Regulated Articles
- If the organism has been produced or modified
using genetic engineering - If there is a possibility that the organism could
be a plant pest (cause harm to plants) - Authorizations are required for importation,
interstate movement, or field testing of
regulated articles
14- Pest risk assessment to allow unconfined
environmental release (commercialization)
- Developers can apply for non-regulated status
for a genetically engineered organism if they
want to import or grow it without oversight by
Biotechnology Regulatory Services - Must provide data to demonstrate the organism
will not present a greater plant pest risk than
the conventional plant
15- Systematic reviews of new genetically engineered
organisms
- Molecular characterization of each new gene and
protein produced - What is likelihood this new gene or trait will
increase the potential of the organism to pose a
pest risk? - What are the characteristics of the whole
organism that could make this organism more of a
pest than the non-engineered organism?
16- Data requirements to determine non-regulated
status
- Data must include comparison to conventional crop
regarding - Potential weediness
- Effect of gene transfer to compatible relatives
- Production of new products or enzymes, or changes
in plant metabolism - Harm to non-target organisms
- Possible change in cultivation practices
17- Non-regulated status of genetically engineered
organisms
- Non-regulated status is granted if risk
assessment results in conclusion that the
organism poses no greater risk as a plant pest
than its conventional counterpart - Comparison to ISPM-11 - To date, all LMOs
subjected to this review by APHIS have been
determined not to pose a pest risk, (OR product
withdrawn from review) - No situation where a LMO was determined to be a
potential pest and the developer wanted to
release or import that product for
commercialization. - No need to go past Stage 1 initiation
18Regulation of LMOs in APHIS
- Plant Protection and Quarantine (PPQ)
- Does the conventional variety of that organism
pose a pest risk (directly, or as a vector for
pests?)
- Biotechnology Regulatory Services (BRS)
- Does the genetic modification alter pest
potential of the organism?
19- Increasing international development and
adoption of LMOs will result in more requests for
decisions regarding importation and use of these
products - PRA framework under the IPPC is an appropriate
mechanism for assessing potential plant pest
risks of LMOs - There is a need for increased awareness and
discussion by NPPOs about LMO risk assessment and
the relationship of LMO risk assessment to PRA as
performed for conventional pests
20For More Information
- www.aphis.usda.gov/brs
(APHIS biotechnology regulation) - www.aphis.usda.gov/ppq/pra (APHIS
PRAs) - www.usbiotechreg.nbii.gov
(USG unified site on biotechnology)