Volume 16, Number 1, January 1998
Copyright ©1998 M.T.
Sanford "All Rights Reserved"
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In this issue:
Organic Honey: What are the Possibilities?
Future of Extension Apiculture:
More on Transgenic Plants and Beneficial Insects:
The proposed regulations governing the USDA's National Organic Program were
published in the December 16, 1997, Federal Register. The proposed rule document is
113 pages long. It can be purchased for $8 from the Federal Register
(202/690-4632), downloaded in Adobe Acrobat (R) format
<http://http://www.ams.usda.gov/nop/rule/complete.pdf > and viewed on the
National Organic Program World Wide Web home page
<http://www.ams.usda.gov/nop/rule/20513.htm>. The document is composed of
the following:
Subpart A - Definitions
Subpart B - Organic Crop and Livestock Production and Handling Requirements
Organic Crop Production Requirements
Organic Livestock Production Requirements
Organic Handling Requirements
The Use of Active Synthetic Substances, Non-synthetic Substances,
Non-Agricultural (non-organic)
Substances and Non-organically Produced Ingredients in Organic Farming
and Handling Operations,
Including the National List of Allowed and Prohibited Substances
The National List of Allowed and Prohibited Substances
Crop Production Substances
Livestock Production Substances
Processed Products Substances
Subpart C - Labels, Labeling, and Market Information
Subpart D - Certification
Subpart E - Accreditation of Certifying Agents
Subpart F - Additional Regulatory Functions
State Programs
Fees
Compliance Review and Other Testing
Appeals
Equivalency of Imported Organic Products
The proposals are causing controversy as might be expected. The provisions
appear to be such that it will be impossible to certify honey as "organic"
under most circumstances. Comments on the Bee-L Internet discussion list
have called the rule everything from unrealistic to downright manipulative,
simply a way to tax unsuspecting beekeepers through fees for services not
needed. One wag said, "...the thing looks like a real tar baby. Lawyers
will have a lot of fun with this one and I doubt anyone will eat any better
on account of it." Another point of view is that although the rules may be
uncompromising, at least they will apply to all, foreign producers who
import honey included. The result would be removal of many products now
labeled as "organic" from the market place. In essence this would mean a
leveling of the playing field. The issues involved are extremely complex
and not easy to quickly summarize; additional information not published in
the Federal Register concerning the reason for the proposed rule and some of
the expected costs and benefits to producers and consumers can be seen at
<http://www.ams.usda.gov/nop/rule/ria.htm>.
Consumer Reports magazine has recently published an online report concerning
organic produce. The results show that some has pesticide residue, but much
less than that found in conventionally grown non-organic fruits and
vegetables. The report states it is almost impossible for consumers to tell
the difference between these two types of produce based on quality, taste or
nutritional differences
<http://www.consumerreports.org/Special/News/Reports/9712n001.htm>. For
other information on organic honey, read about miel biologique in Europe
(May 1997) <http://www.ifas.ufl.edu/~mts/apishtm/apis97/apmay97.htm#3>, and
the organic certification program in Florida (May 1991 and February 1996)
<http://www.ifas.ufl.edu/~mts/apishtm/apis91/apmay91.htm#6>;
<http://www.ifas.ufl.edu/~mts/apishtm/apis96/apfeb96.htm#1>.
One intriguing subject in the proposed rule deals with wild crop harvesting.
A case might be made that some honey produced from feral plants might fall
under the following provisions:
§205.11 Wild crop harvesting
(a) Any land from which a wild crop intended to be sold, labeled or
represented as organic is harvested shall have had no prohibited substance,
as delineated in the categories of substances prohibited for use in organic
farming and handling set forth in § 205.21, applied to it for a period of
three years immediately preceding the harvest of the wild crop and at any
time thereafter.
(b) A wild crop shall be harvested in a manner that assures that such
harvesting or gathering will not be destructive to the environment and will
sustain the growth and production of the wild crop.
Comments on the proposed rule must be received by March 16, 1998. They
should be mailed to Eileen S. Stommes, Deputy Administrator, Agricultural
Marketing Service, USDA, Room 4007-S, Ag Stop 0275, P.O. Box 96456,
Washington DC 20090-6456, faxed to 202/690-4632, or submitted online
through the National Organic Program Web Page.
Dr. Raymond Nabors has published a provocative dissertation titled
Apiculture Extension Education Needs in the United States, University of
Missouri-Columbia, MO, December 1997. The basis of this publication is a
Delphi study that asked questions of 25 extension beekeeping specialists
around the nation. The perception of a general decline in the number of
beekeepers and recognition by growers that fewer honey bee colonies are
available for pollination stimulated this investigation. The reduction in
the number of beekeepers appears to be the result of a number of factors,
according to Dr. Nabors, including deletion of government programs (price
support and loan), introduction of parasitic mites, and increased honey
importation, which lowered prices paid for that commodity. Beyond the
reduction in numbers of managed colonies, Varroa mites also contributed to a
perceived drastic decline in the feral population. All this has
contributed, Dr. Nabors concluded, to less pollination of crops in Missouri
and elsewhere. [Editor's note: For more about the pollination crisis see
the March 1996 APIS
<http://www.ifas.ufl.edu/~mts/apishtm/apis96/apmar96.htm#1>.]
A suggested remedy to ease the shortage of honey bees for pollination is to
encourage more beekeeping by growers and others. Dr. Nabors concluded that
growers managing their own bees has not generally been a viable strategy
because it is such a specialized activity. His hypothesis for encouraging
more beekeeping is to provide improved educational opportunities for
potential apiculturists. He suggests that the Cooperative Extension Service
is the most logical organization for this task. The purpose of his study,
therefore, was to try to determine what extension programs might ensure that
apiculture remain a viable agricultural industry. [Editor's note: For more
on extension's mission see the June 1996 APIS
<http://www.ifas.ufl.edu/~mts/apishtm/apis96/apjun96.htm#1>.]
Specific questions included:
1. Is there a consensus regarding the major problems affecting beekeeping?
2. What changes are needed in apiculture and beekeeping education?
3. What should government do to ensure a viable beekeeping industry?
4. How can educational institutions help?
As part of his dissertation, Dr. Nabors produced a generalized profile of
present-day apicultural specialists employed by the Cooperative Extension
Service. Of 25 respondents, only three devoted 90 percent of their time to
beekeeping education. Seven devoted 80 to 90 percent of their activity
outside of apiculture; the average spent on beekeeping education was 17
percent. These beekeeping specialists had an average of 13.5 years of
experience, ranging from 40 to fewer than two years. Seven were between the
ages of 36 and 45 and eleven between the ages of 46 and 55. Five were over
56 years old. Although there was an average of four assistants serving in
apiculture extension programs, sixteen received no help at all.
This demographic profile of extension specialists also mirrors, to a degree,
that of commercial beekeepers. Dr. Nabors cited articles by M. Slotterbach
on the future of beekeeping (American Bee Journal, Vol. 130, 1990, nos.
9-10, pp. 594-596, 643-647), which concluded that the average commercial
beekeeper was 51.8 years old, ranging from 48 to 52. The vast majority of
beekeepers were found to be small-scale with an average of only 10 colonies
and most began beekeeping later in life, about age 40. Because most
beekeepers appear to live near urban centers, Dr. Nabors suggests this could
be responsible for a shortage of bees for pollination in rural areas.
Respondents to Dr. Nabors' study agreed that the most critical problem
facing the beekeeping industry is mite infestation. However, there was also
consensus that controlling mites should be part of a comprehensive effort to
manage diseases and pests, and that breeding for resistance, improving
management techniques and implementing chemical control should all be
included. [Editor's note: See the February 1993 APIS for a discussion of a
possible comprehensive management plan
<http://www.ifas.ufl.edu/~mts/apishtm/apis93/apfeb93.htm#1>.]
The respondents also concurred that more and better beekeepers were needed, and
that it was necessary to make a profit to sustain the activity. With
reference to pollination, respondents said an industry was already in place
and that reliance on alternative pollinators could not be expected to
replace commercial pollination using the honey bee.
Most respondents believed that it was the responsibility of University
Cooperative Extension to educate beekeepers, growers and others in the
importance and mechanics of keeping bees. Three separate programs might be
necessary, according to Dr. Nabors: training beekeepers, educating growers
and informing the general public. There was also a regional component to
proposed educational programs. Training not only in honey production, but
also in queen and package bee production, was seen as more important in
certain areas, as was commercial pollination. [Editor's note: The latter is
a completely different enterprise because it is has a service rather than a
production focus as discussed in the November 1993 APIS
<http://www.ifas.ufl.edu/~mts/apishtm/apis93/apnov93.htm#5>].
Dr. Nabors also addressed specific educational methods in his dissertation.
Respondents agreed that face-to-face communication was best, but that the
written word was also powerful. Most thought use of electronic technology
was overrated in the minds of administrators and the public. This
parallels current discussions about this issue on university campuses. The
respondents viewed electronic methods as additions to traditional one-on-one
communication and distribution of publications.
Beyond education, respondents agreed that most specialists should also have
some research responsibility. There was little agreement, however, on how
research and educational efforts should be coordinated. Most did not agree
that a national coordinator was needed in Washington, although one at the
regional level was thought to be important. In general, the results
indicated that communication among experts in apiculture could be improved.
Dr. Nabors did state that one organization, the American Association of
Professional Apiculturists (AAPA), was a possible group to address the
situation <http://www.ianr.unl.edu/ianr/entomol/aapa/aapadir.htm>.
Finally, there was agreement that funding for research and extension efforts
could not be fully supported by the beekeeping industry and that public
money was necessary. Most thought the public would continue to support
these efforts if adequately informed about their importance. There was less
confidence, however, that the current level of support could be maintained.
[Editor's note: Self-funding in research, but not extension, is being
addressed through new initiatives like adding this function to the mandate
of the National Honey Board. A Canadian model bee research program was
also discussed in the February 1997 APIS
<http://www.ifas.ufl.edu/~mts/apishtm/apis97/apfeb97.htm#4>. The French
program at Aix-en-Provence has both an extension and research component as
reported in the March 1997 APIS
<http://www.ifas.ufl.edu/~mts/apishtm/apis97/apmar97.htm#1>].
An outcome of Dr. Nabor's study was the perception that developing economic
data on and teaching the business aspects of beekeeping had received too
little attention. His recommendation was that some extension workers should
specialize in these topics. [Editor's note: Dr. Roger Hoopingarner, now
retired from Michigan State University, and I published a chapter on this
subject for the first time in the 1992 The Hive and the Honey Bee, published
by Hamilton, IL: Dadant and Sons, Inc.) Pp. 723-755. Two spread-sheet-based
programs available to beekeepers also represent a beginning in addressing
this situation. One from the American Association of Professional
Apiculturists was produced by Cornell University
<http://ianrwww.unl.edu/ianr/entomol/beekpg/aapapubs.htm#Item4> and the
other was published by the USDA Tucson Bee Research Laboratory
<http://gears.tucson.ars.ag.gov/soft/bke/index.html>].
In summary, Dr. Nabors said that current extension programs are of good
quality, but insufficient in quantity. There is, for example, on the
average less than one beekeeping specialist for each state. As the mean age
is 50, retirements will be inevitable from the current specialist ranks,
perhaps resulting in a further decline in current resources dedicated to
this activity. This state of affairs, he concluded, along with declining
numbers of beekeepers and honey bee colonies could indicate a national
pollination problem in the making.
I recently received a letter from Mr. Chris Alen, president and general
manager of Hat Honey Farm, Medicine Hat, Alberta, Canada. He said that
hybrid transgenic canola pollination now uses 25,000 to 30,000 hives in his
region and is expected to grow in the future. He concluded that the
technology used to produce these genetically modified plants is amazing, but
also troubling because of little-known potential long-term effects on honey
bees as pollinating vectors. Mr. Alen believes some of the problems seen
in canola pollinating colonies, which include population decline and queen
supersedure, may be the result of genetic modification of the plants. He
asked if there are some unresolved issues that beekeepers and others should
look at concerning this technology.
Transgenic plants are those that have had genetic material inserted into
them to provide built-in protection against diseases and pests. I reported
on this phenomenon in transgenic oilseed rape from France in the April 1997 APIS
<http://www.ifas.ufl.edu/~mts/apishtm/apis97/apapr97.htm#4>. In the July
1997 APIS, I relayed more developments and resulting concerns about this
technology. At that time I concluded, "Premature use of the technology in a
worse case scenario would be to develop transgenic plants to which insect
pests become resistant that at the same time discourage pollination by
beneficial insects." <http://www.ifas.ufl.edu/~mts/apishtm/apis97/apjul97.htm#5>
Now I have received news that beneficial insects might in fact be affected
by this technology. This comes from an article by Dr. Claire Gilbert, who
writes the Blazing Tattles newsletter, titled "Ladybug, quickly fly away
home!" <http://www.concentric.net/~blazingt/info/index.htm>. Transgenic
potatoes in Scotland, bred to discourage aphid feeding, did not completely
eliminate all the aphids. Ladybug beetles were used to clean up the
remaining population. Unfortunately, the beetles that ate those aphids,
which had been feeding on the transgenic potatoes, were also affected.
This information, according to Dr. Gilbert, was reported in A.N.E. Birch,
ET. al., "Interactions between plant resistance genes, pest aphid
populations and beneficial aphid predators," Scottish Crop Research
Institute (SCRI) Annual Report 1996-1997, esp. pp. 70-72. SCRI is located
at Invergowrie, Dundee DD2 5DA. Telephone: National (01382) 562731,
International +44 1382 562731, Fax: National (01382) 562426, International
+44 1382 562426.
It is too early to tell where all this will lead. History has shown that in
the race to produce superior crop varieties, many resources go into
determining the agricultural inputs necessary to get the plant out of the
ground. Often, however, one of the most difficult to study, pollination
requirements, gets short shrift. Mr. Joe Robinson, a bee inspector in West
Florida, contends that there is no difference between cotton nectar
production when comparing genetically altered to normal or control plants.
His opinion that most of the discrepancies reported can be traced to
underlying soil type appears to provide some reason to be optimistic in this
area. Until more information becomes available, however, beekeepers should
continue to carefully monitor their bees foraging on or pollinating
genetically modified plants.
Editor's note: Mr. Alen writes that I misquoted him in his letter. The problems he
referred to were caused by stress on colonies used in intensive pollination, not by genetically altered plants.
Another comment I received also suggests intensive pollination activity alonge should not be ruled out as causes for observed effects on colonies:
Yes there are unresolved issues regarding transgenic crops and bees, and
some extra vigilance is prudent. However, for several reasons the
situation described could be quite unrelated to the transgenic issue. A
little more information might clarify things.
1) Did the Alberta situation actually involve a transgenic crop?
At least for canola, "hybrid" does not equal "transgenic". Most canola
hybrid varieties are NOT transgenic. Only a few are.
2) Is there a simpler likely explanation for the Alberta observations?
Bee colonies in hybrid canola pollination are used at rather high
density (2 or more per acre), with the objective of maximizing
pollination rather than optimizing bee colony performance. A pollination
fee is supposed to make the practice attractive to a beekeeper.
Note re. requirement for pollination. Only in the production of hybrid
seed (for planting) is insect pollination required. For most canola
seed production (hybrid, transgenic or neither, for oil) bees are of
debatable value, although the large fields are a good source of nectar
and pollen for the short period they are in bloom.
Type of transgenic modification: transgenic canola varieties are
generally modified to include herbicide resistance rather than
insecticidal properties. Are the properties related? I don't know.
A canola breeder I've consulted questions the statement that colza is a
hermaphroditic plant (I think this was in the previous article). I don't
know the significance of the distinction in this case.
Kerry Clark, Apiculture Specialist
B.C. Ministry of Agriculture, Fisheries and Food
1201 103 Ave
Dawson Creek B.C.
V1G 4J2 CANADA
Tel (250) 784-2231
fax (250) 784-2299
INTERNET kclark@galaxy.gov.bc.ca
Sincerely,
Malcolm T. Sanford
Bldg 970, Box 110620
University of Florida
Gainesville, FL 32611-0620
Phone (352) 392-1801, Ext. 143 FAX: 352-392-0190
http://www.ifas.ufl.edu/~entweb/apis/apis.htm
INTERNET Address: MTS@GNV.IFAS.UFL.EDU
©1998 M.T. Sanford "All Rights Reserved
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