U. S. Food and Drug Administration
U. S. Department of Agriculture
December 5, 1997


               GUIDANCE ON GOOD AGRICULTURAL AND
                  MANUFACTURING PRACTICES FOR
                     FRUITS AND VEGETABLES
                            -  -  -
                         PUBLIC HEARING
              HELD ON FRIDAY, DECEMBER 5, 1997 AT
           THE CLAYTON HUTCHESON AGRICULTURAL CENTER
                    559 NORTH MILITARY TRAIL
                    WEST PALM BEACH, FLORIDA
                            -  -  -
                                                        2
     PANEL MEMBERS:
 
     Lynn Isaacs, Regional Public Affairs Specialist, FDA
     Mike Chappell, Acting District Director, Fla. Dist., FDA
     John Vanderveen, Ph.D., Acting Deputy Center Director,
          CFSAN, FDA
     Martha Roberts, Ph.D., Deputy Commissioner for Food and
          Safety, Florida State Department of Agriculture and
          Consumer Services
     Clayton Hutcheson, Director, Palm Beach County
          Cooperative Extension Service
     Douglas L. Archer, Ph.D., Chair and Professor, Food
          Science and Human Nutrition, University of Florida
          Richard Barnes, Food Safety Initiative Staff, FDA
 
     SPEAKERS:                           PAGE:
 
     Mike Chappell                         6
     Dr. John Vanderveen                  14
     Dr. Martha Roberts                   19
     Clayton Hutcheson                    28
     Dr. Douglas Archer                   29
     Richard Barnes                       37
     Q & A Session                       103
     Dr. Ricardo Gomez                   121
     Dr. Stacey Zawel                    136
     Mike Stuart                         138
     Bobby McKown                        149
     Dr. Chip Hinton                     158
     Dr. Mohammed Ismail                 169
     Dan Riche                           185
     Wes Roan                            195
     Dr. Jean Malecki                    203
     Gary Smigle                         216
     Mary Dettmars                       218
     Al Yamada                           224
     Rebecca Schleifer                   229
     Stephen Paige                       232
     Dr. Stacey Zawel                    238
     Dr. Mohammed Ismail                 240
     Lauren Gould                        241
                           -  -  -
                                                        3
               (The following Public Hearing commenced at
     9:10 a.m.)
               MS. ISAACS:  Good morning.  Thank you for
          joining us this morning, and we also thank our
          head table of participants for weathering the
          weather yesterday and joining us.
               You all should have a copy of the agenda in
          your packets, the new and improved agenda as of
          this morning, and I'm going to go through here
          and briefly introduce our participants here.
               Down at the far end is Dr. John Vanderveen.
          John is the Acting Deputy Center Director with
          FDA Center for Food Safety and Applied Nutrition.
               Next to John is my boss, Mike Chappell, the
          Acting District Director of the FDA Florida
          District Office.
               And next to Mike is Dr. Martha Roberts.
          Martha is the Deputy Commissioner for Food Safety
          with the Florida Department of Agriculture and
          Consumer Services.
               And then we have former FDA'er, Dr. Douglas
          Archer, who is a Chair and Professor, Food Safety
          with the University of Florida, Food Science and
          Human Nutrition.
               Did I get that sort of right, Dr. Archer?
                                                        4
               DR. ARCHER:  Certainly.
               MS. ISAACS:  All right.  Just checking.
               John, who was going to introduce Terry, but
          I guess I'm introducing Terry.  Terry Troxell.
               What is your title, Terry, with CFSAN?
               MR. TROXELL:  Director of Programs and
          Enforcement Policy Commission and of Dairy, Food
          and Beverages.
               MS. ISAACS:  And one of the drafters of the
          document.
               Okay.  And we have my other boss, Richard
          Barnes, is the Director of FDA's Division of
          Federal State Relations in Rockville, Maryland.
               And we have Clayton Hutcheson.  Clayton is
          the Director of Palm Beach County Cooperative
          Extension Service, whom I'm sure a lot of you
          know, and we certainly appreciate his hospitality
          today and he's going to be giving some welcoming
          remarks.
               Okay.  Let's give a little background
          information about this initiative.  On
          October 2nd of this year, President Clinton
          announced a plan entitled Initiative to Ensure
          the Safety of Imported and Domestic Fruits and
          Vegetables.
                                                        5
               As part of this initiative, the President
          directed the Secretary of Health and Human
          Services, in conjunction with the Secretary of
          Agriculture, and in close cooperation with the
          agricultural community, to issue guidance on good
          agricultural practices, affectionately referred
          to as GAPS?
               Do you call them GAPS, too?
               MR. TROXELL:  GAPS.
               MS. ISAACS:  GAPS.  And good manufacturing
          practices, GMPs for fruits and vegetables.
               FDA and USDA have developed draft working
          papers that addressed microbial food safety
          hazards and good management practices associated
          with water quality, sanitation, hygiene,
          transportation, manure and municipal sludge
          common to the growing and harvesting of most
          fruits and vegetables that are sold to consumers
          in an unprocessed or minimally processed form.
               These preliminary drafts are intended to be
          further developed and refined to assist growers
          and handlers in examining their operations for
          potential microbial hazards, and in identifying
          management practice options that may be adopted
          to minimize the risks of microbial contamination
                                                        6
          for fresh produce.
               So the purpose of this meeting is to solicit
          your input on this draft guide.  This meeting is
          part of a series of town hall meetings that are
          being held across the country.  A public meeting
          was held in Washington, D. C. on November 17th
          and approximately 150 people attended.  Comments
          from that public meeting are included in the
          draft of the guide that will be presented today.
               I believe there is going to be another
          meeting Monday to address international concerns;
          that's also in the Washington, D. C. area.
               Grassroots town hall meetings have also been
          held this week in Grand Rapids, Michigan on
          Monday, they had about a hundred folks there, and
          Geneva, New York on Wednesday attracted about 75
          attendees.
               So today we hope to get your comments, your
          reactions to this draft guide and, later on, if
          you get home and think of additional points, you
          can go ahead and submit a written comment to the
          FDA.
               Your information packet includes an
          announcement for this meeting, and that
          announcement tells you where to send additional
                                                        7
          comments, and it's very important that you
          include the docket number with that comment.  So
          we encourage you to do so after we go away today.
               This meeting is being transcribed so that
          the scientists preparing the guidance document
          can carefully review your comments and make
          revisions to the document as appropriate.
               As far as housekeeping, some of you may have
          found the rest rooms already right outside the
          entrance.  There will be coffee, we hope.  It has
          been ordered.  There are several restaurants
          close by, and Clayton has provided a map to the
          ones closest to us.  We really want to just break
          for one hour for lunch and be back here to get
          the input from you all.
               We hope that you all picked up an
          information packet about FDA and USDA at the
          registration desk.  And we intend that today's
          meeting will be informal; you will have ample
          opportunity for comment.
               As you see from the agenda that we're
          scheduled to adjourn at 4:00 o'clock, but I'm
          sure if there's a lot of interest, that everybody
          will stay till the last person is heard.  Am I
          right?
                                                        8
               Okay.  In addition, if some of you don't
          really want to make your comments orally, we have
          a little written two-part form, comments,
          questions, and Frank Goodwin has those available
          for you; just fill it out and raise your hand and
          Frank will collect it and we'll get it to the
          right panelist up here and address your concern,
          and I'll read your comment or question.
               Okay?  Are there any questions thus far?
               All right.  Well, let's start off with Mike
          Chappell.
               MR. CHAPPELL:  Good morning.
               I think if we're going to hear from these
          people, we're going to have to have a little more
          enthusiasm.
               MS. ISAACS:  Try it again.
               MR. CHAPPELL:  Good morning.  A little
          better.  You might want to tone them down toward
          the end of the day.
               Well, I'm here on behalf of the Food and
          Drug Administration to welcome you to this town
          meeting, as well as representing John Turner, who
          is the regional director for the Southeast Region
          of the Food and Drug Administration.
               I'd like to emphasize a few points, very few
                                                        9
          points about the President's Initiative and our
          purpose here today.  First of all, it is a
          collaborative effort.  It includes the United
          States Department of Agriculture and state and
          local Departments of Agriculture, and,
          importantly, for today's meeting, it includes
          you.
               As Lynn mentioned, this is one of a series
          of meetings -- I think this is the third of six,
          I guess we held them last week, and there will be
          some next week also -- throughout the country to
          hear your concerns.  The meeting that Lynn
          mentioned on Monday in Washington, December the
          8th, will deal with international concerns.
               The use of the town meeting is -- or the
          grassroots meeting is fairly new to FDA.  We,
          really, over the last few years as part of, I
          guess, a re-invention of government, we began to
          use these instruments more in getting people's
          input earlier on in the process of developing
          guidelines and regulations.
               And it's certainly appropriate to do that,
          because if you look at the history of this
          country, that is a forum that has been used
          throughout history to understand what the people
                                                        10
          really need, the people really want, and the
          people's concerns.
               So this is a forum; this is your forum, this
          is your opportunity to speak with us, to share
          with us your concerns and certainly understand
          what we're going to be giving you today and
          presenting to you.  Certainly, we ask that you be
          frank, you be open with us, and we'll certainly
          do the same with you.
               I think it's very appropriate that we're
          having one of these meetings in the Southeast,
          particularly here in Florida.  The Southern
          United States and Southeastern United States
          produces a significant portion of the fresh
          fruits and vegetables consumed in the United
          States.
               And it's also in this area where we have a
          wide variety of representatives of the producers.
          We have everything from the small family farm to
          the major agribusinesses.  And this is, again,
          your opportunity to talk about these issues, to
          understand these issues and let us know how you
          feel about them.
               I'd like to mention a little bit about -- I
          mentioned the Southeast Region.  The Southeast
                                                        11
          Region of the United States is composed of eight
          states, the Commonwealth of Puerto Rico and the
          U.S. Virgin Islands.  There is a district --
          district throughout the Southeast, they are
          located in Atlanta, Orlando, San Juan, Nashville,
          and New Orleans.  There are about 500 of us.  We
          have two laboratories located, one in Atlanta and
          one in San Juan.  There's about 125 people
          associated with those laboratories.  The rest of
          us in those district offices and the 28 other
          support offices for those districts comprise the
          500 people in the Southeast.
               The laboratories analyze thousands of
          products in the course of a year, generating
          hundreds of different analyses to ensure that the
          products that we regulate are safe, effective,
          and wholesome.
               The rest of us throughout the inter-lands
          and in these other offices that I mentioned, are
          basically the field investigational force; we do
          the inspections, we conduct investigations in
          support of the Food, Drug and Cosmetic Act and
          other associated acts.
               But FDA overall is involved in the
          production, import, transport, storage, and
                                                        12
          monitoring of products that account for about
          $750 billion a year in our economy.  So we have a
          major job and, of course, food safety is one of
          FDA's major concerns.
               It is our responsibility to make sure that
          the food on American's tables is both safe and
          wholesome.  And part of that process is to try to
          prevent problems before they occur.  And as part
          of that, one of the things we do is try to assess
          risks associated with these products, and that is
          one of the bases for our public health
          commission.
               Based on our public health responsibilities,
          the President has charged FDA to take the lead in
          developing a guidance document to assist farmers
          in minimizing microbial hazards.  I must
          emphasize that we are developing guidance and not
          regulations.
               Those of us within FDA understand the
          difference and we understand the possible
          nuances.  And I know for people who are not that
          familiar with it, it may get muddled and one may
          appear to be the other.
               And I think as we go through the day -- and
          I ask you to pay particular attention to this --
                                                        13
          we're going to talk about the differences between
          guidance and regulations and how that really will
          affect what this whole process is about.
               The President's Initiative does not require
          new regulations on microbial safety of foods.
          You'll hear that repeatedly throughout the course
          of the day and it's important for you to
          understand that.
               Richard Barnes, who is now part of the food
          safety initiative -- I guess in his former life
          he's a director of the Division of Federal State
          Relations, and many of you may already know him,
          but he'll talk a lot more about this -- the
          regulation, per say, and the differences in the
          guidance.
               The task at hand is twofold for us:  First,
          we're going to review some of the major features
          of President Clinton's initiative on fresh
          produce, and Richard will give you some of the
          background on that and the forces that led to it.
               Secondly, and most importantly, we need to
          have your input on the draft guidance on good
          agricultural practices, which Lynn has already
          referred to as GAPS.
               The drafts in your information packet, it's
                                                        14
          fairly fresh, I think we got it just a few days
          ago, and it represents our first stab at this.
          It does represent input from the both the
          sciences at USDA and FDA, and they represent only
          preliminary thinking on our part.
               Obviously, you have to have something to
          start with, something to get the discussion
          going, and that's what this is.
               The produce subcommittee of the National
          Advisory Committee on Microbial Criteria and
          Foods, which is an advisory body to FDA, has
          reviewed this draft, and it's my understanding
          their comments have been incorporated.
               So now it's your turn.  We expect you to go
          over this with us, give us your comments, ask
          questions.  It's really important that we
          understand each other.  If you don't understand
          something we're saying, you need to be clear on
          that.  And, likewise, we need to be clear on your
          thoughts and feelings.
               All of these town hall meetings, all of
          these grassroots meetings, the comments will be
          carefully analyzed, they will be reviewed prior
          to issuance of the final draft document, which
          will be issued in the Federal Register early in
                                                        15
          1998.
               Even after it's been issued, there will
          certainly be a comment period, and you'll have
          another opportunity to comment on that draft at
          that point.  It also will be -- it is now posted,
          as I'm sure the -- when the final draft goes out,
          will be posted on FDA's web site or Internet
          site.
               If you picked up one of these blue folders
          outside, you already have the FDA Internet
          address.  It's on -- it's certainly on this
          particular insert.  If you haven't picked that
          up, please do so.  We've become so accustomed now
          to using the Internet to provide information
          that, in the field, this is the first place we go
          to find out what's the most current thinking in
          the various centers within FDA.
               So I encourage you to use that to certainly
          see what's happening, what's going on, not only
          in this initiative, but in other areas of FDA.
               Well, we got a little bit of a late start,
          but I certainly want to make sure I don't step on
          anybody's toes, talk about things that's going to
          be addressed further, so I'm going to stop now.
               But I do want to encourage you to be open,
                                                        16
          to be frank with us.  We're here to listen, and
          I'm sure that if -- there's going to be plenty of
          time for questions and just so we can hear your
          concerns and comments.
               So with that, Lynn, I'll turn it back over
          to you.
               MS. ISAACS:  Thank you, Mike.  And the FDA
          home page is www.fda.gov.  And you will find a
          wealth of information on it.
               Okay.  Dr. Vanderveen, you're next.
               MR. VANDERVEEN:  Thank you, Lynn.
               I'm John Vanderveen, as Lynn has told you,
          and I would like to extend my welcome to all the
          welcomes that you'll get this morning on behalf
          of the Center for Food Safety and Applied
          Nutrition and all of our partners in this food
          safety initiative.
               And there are six partners; there's several
          sections of USDA that are actively involved with
          this.  The Center for Disease Control, the
          Environmental Protection Agency is playing a
          significant role, and we are all very pleased
          that you have taken the effort to come here
          today.  We recognize that you have busy
          schedules, we recognize also that some of you
                                                        17
          have come long distances, and we're very pleased
          that you're willing to make that effort.
               I'd like to introduce one other person.  I
          think Camille Brewer is back there in the back of
          the room.  Camille is one of our compliance
          officers, and she's been the project manager for
          a number of these efforts, produce initiative
          efforts, and she has been largely responsible for
          organizing much of what you're going to see
          today.
               I would like to mention the fact right off
          that we have the safest food supply in the world.
          There is -- we continue to say that, we're very
          proud of that.  USDA regulating meat and poultry
          and FDA regulating a good portion of the other
          food supply.  We are very, very pleased all the
          time with the response that the farmers, the
          processors, and retailers do in making our food
          supply as safe as it is.
               Nevertheless, there are problems from time
          to time and we have to expect that, I guess, but
          we always try to make things better.
               As you heard, the President, two months ago,
          initiated this produce initiative and we are very
          anxious to fulfill the goals that he's outlined
                                                        18
          in this.  But our main purpose is to gain from
          you your advice, your counsel, your constructive
          criticism and gain from the benefit of your
          knowledge.  I'm the first to admit that we can't
          be in your shoes at all times and know all the
          nuances that are important in trying to do what
          we're trying to do in this area.
               I want to acknowledge, also, that there has
          been significant input to where we are at the
          present time from the industry.  The trade
          associations, the educational arms of those trade
          associations have played a significant role in
          recent years in trying to guide us in what needs
          to be done relative to such a guide as we're
          trying to put forth today.
               I've met with a number of trade associations
          over the last two or three years; they have sent
          me their materials and asked for my input to it,
          and we're very pleased that they're working so
          hard in this area, and we hope that this
          relationship can continue in a very positive
          manner.
               There's more about this initiative on
          produce that I want to emphasize and just take a
          moment to do it.  As you've already heard, this
                                                        19
          is a guidance document that we're trying to
          prepare and we think it's very important for
          various reasons.
               It's about partnerships between government
          agencies, farmers, transportation processors,
          retailers, and even the consumer, and it's about
          a new paradigm where the government will place
          more emphasis on helping to prevent food safety
          problems by establishing good agricultural
          practices and good manufacturing practices and
          less on traditional end item inspection and
          testing.
               We just don't have the resources; it's just
          not a good way to operate, and as a consequence,
          we want to enter into a much more -- we hope that
          with Seafood HACCP you will see the results of
          this partnership starting in January, and we will
          soon have an in-juice HACCP proposal in the
          Federal Register.
               And we hope that you will understand that
          this is a program where we're trying to work with
          the industry and try to prevent problems and not
          rely on the traditional compliance approach to
          gaining food safety.
               We want to establish also a dialogue, and we
                                                        20
          want you to be able to feel free to come in to
          see us from time to time if you have problems.
          We've always had our doors open to talk with
          people and we want to emphasize that as well.
               I think that there's one other aspect I
          would like to talk about today, and that is the
          fact that, in developing this guide, is for -- as
          you'll hear today -- for our domestic industry,
          but the guide is very important in dealing with
          our trading partners as well.
               As you know, there are various trade
          agreements required, that we have standards that
          are equal between those for domestic and those
          for imports of all our products.  And we must
          start out by defining what our standards are, and
          then only in that way can we say to foreign
          governments, this is our standard and we expect
          you to meet that standard.
               So I emphasize that, although we're working
          on a guide for domestic production of foods,
          we're anxious to use that guide eventually as our
          standard as what we expect from other imports to
          this country.
               In closing, I'd like to say just two things:
          I appreciate very much Mr. Hutcheson's efforts to
                                                        21
          have us here in this very nice facility.  I'm
          with the 4-H -- I guess I was going to say
          student -- but 4-H member for about 12 years 45
          years ago, and I must say, things weren't quite
          this good.  We usually met in the middle of a
          dairy farm barn floor or someplace like that, not
          nearly as nice as this, and we certainly
          appreciate your kind invitation here, and we hope
          all of you will participate very fully today.
               Thank you very much.
               DR. ROBERTS:  I bring you greetings from
          State Government, Commissioner Bob Crawford,
          Commissioner of Agriculture for the State of
          Florida welcomes you, and we're delighted to be a
          participant in this meeting and to gain
          perspective from everyone involved.
               We commend FDA and commend USDA for trying
          to address this issue and for allowing
          participation by state government, by industry,
          by consumers, and all stakeholders.
               Quite frankly, it's unbelievable that we
          have a major political initiative that is very
          scientific issue of food safety, and I think,
          quite frankly, it puts us into a different arena
          and casts some different perspectives that we're
                                                        22
          all having to deal with as we go forward on this
          very major initiative.
               So as state government, we're prepared to
          work very closely with our federal partners, FDA
          and USDA, to ensure that we have a very science-
          based common sense guidance to the industry.
          We're very pleased that FDA has been charged to
          develop this in cooperation in partnership with
          USDA and to set standards for imported and
          domestic product.
               Food safety is a major priority of the
          Florida Department of Agriculture and Consumer
          Services.  It is the department's priority, it is
          the public's priority, industry's priority,
          universities and health professionals alike.
               Within the department, we focus on the
          potential microbial risk, attempting to prevent
          it through good sanitation and hygiene and to
          provide the safest food supply to our citizens in
          our inspection and laboratory testing programs of
          the State.
               We're emphasizing examination for food-borne
          pathogens, everything from Salmonella to E. coli
          to Listeria, and would like analytical procedures
          for other things, such as cyclospora that we have
                                                        23
          to deal with as food-borne risk in the State of
          Florida.
               The State of Florida is responsible for the
          inspection and laboratory surveillance of over
          28,000 retail food stores, warehouses, and
          processing establishments in the State of
          Florida.  We have almost 300 individuals
          associated with this program, and we're delighted
          that one of these public meetings is held in the
          State of Florida.  We think it's a very
          appropriate location.
               For many years, this very county in which
          we're seated was the fourth and fifth largest
          agricultural county in the United States
          producing over $1 billion in cash receipts in a
          whole host of fruits and vegetables.  But yet,
          due to the impact of many government regulations,
          state, federal, local, as well as increasing
          competition from imports, within the last census,
          we have seen this county dwindle from fourth or
          fifth down to 11th.
               We feel that this is an apt place to have
          this hearing because of the diversities of
          agriculture in this county.  And it is also very
          appropriate because this was one of the very
                                                        24
          first counties in the nation over three years ago
          where we started experiencing so many cases of
          food-borne illness from a unbefore recognized
          parasite, cyclospora.  I'm very glad that
          Dr. Jean Malecki will be later talking a little
          bit about that, as far as the numbers of cases
          experienced here in this county from imported
          strawberries.
               And this county is also the site of some
          very proactive citizen groups.  We have some
          senior citizen groups in the area that are
          extremely active with the department, are trying
          to do more in the whole area of helping the
          department to enforce our country of origin
          labeling laws so that the general public will
          know the source of fruits and vegetables that
          they are eating.
               So we are a state in which we have a
          tremendous partnership.  Our philosophy in the
          State of Florida has always been cooperative.
          We've had innovative partnerships with federal
          government, with state government, with local
          government, with our industry groups, with
          consumer groups, with our universities, and with
          Extension Service, and we feel that that's the
                                                        25
          very best way to attack problems.
               We're a state where every one of these
          groups has, as their major focus, food safety
          consumer issues and water and environment, and
          they're all priorities for state government
          federal consumer groups, industry and
          universities alike.
               So this partnership is excellent and we
          focus on partnerships as the necessary step in
          this guidance.  But we'd also like to look at the
          goal of health.  And within my welcome, I'd like
          to make a few comments relative to that, because
          that is the ultimate goal of any GAPS or GMPs
          relative to this industry, is to increase the
          public health in this country.
               And I am personally concerned that, as we
          have any further drop in domestic production of
          fruits and vegetables with any increased
          importation from third world nations, that we
          make certain that we apply the current
          regulations on sanitation and production to the
          importation from other nations.
               It is very difficult for us to absorb
          reports of all sewage and irrigation waters on
          nations from which we're having product imported.
                                                        26
          If we reduce domestic production, have we
          increased public health safety in this country,
          and I do not think that we will have.
               One of the major parts that we strongly
          support in the document is the area concerning
          water concerns and water impact on food safety.
          We are a state that has very major complex
          regulations involving water safety, water
          quality, and the source of water.
               Water in the State of Florida is regulated
          very strictly by our five water management
          districts as far as the Florida Department of
          Environmental Protection.  The actual water
          allowed to be used by agriculture is given to
          them on a water use permit that allocates to
          agricultural uses specific quantities of water
          annually and the specific source of that water.
          So they could not, and it would be very difficult
          to immediately change any source.
               But the water use in agriculture is about
          60 percent farm ground waters with about
          80 percent of many of our industries already
          having shifted to low volume drip irrigation.
          Water we use is emphasized as a goal of the state
          as far as use of reclaimed water, but edible
                                                        27
          crops that will not be peeled, skinned, cooked,
          or semi-processed before consumption are not
          permitted to be using treated effluent.
               We support any reasonable proposal that will
          increase food safety in this nation.  The number
          of deaths and illnesses is unacceptable, but we
          want to support something that will be based on
          sound science, on advisory groups'
          recommendations.  We're very pleased that those
          have been entered into the proposed draft.
               We would hope that our federal counterparts
          will support the additional research GAPS that
          have been identified and that will base all these
          good agricultural practice recommendations on
          common sense and reality and risk to the public.
               And we earnestly ask that what we have
          currently in place as far as sanitary
          requirements in the United States be initially
          enforced on both domestic and imported product.
               We need also to ensure that we're listening
          to our voices, and that's why I want to commend
          FDA and USDA for doing just that.
               Today I'll be listening as a regulator.
          I'll be listening with a regulator hat who's top
          priority is food safety and who wants to ensure
                                                        28
          the highest degree of safety to the foods that
          we're purchasing, the foods we're producing, the
          foods we're consuming.
               We've got about 14.7 million citizens in
          this state and over 40 million annual visitors.
          That's a lot of meals being served and it's a lot
          of food safety requirements.
               I'll be listening as a professional
          microbiologist who's very concerned with the
          threat of the condition of some of the imported
          products that we're seeing from nations not
          having adequate sanitation.
               If I'm told not to eat salads or fruits and
          vegetables in a nation I'm visiting, even in the
          very best of restaurants, why would I want to buy
          them and purchase them once they're imported into
          the United States.  That's a personal philosophy.
               As a microbiologist, I also know that dirt
          and fields are not sterile and they can't be.  I
          strongly support, though, the requirement that
          you can't expose the food to untreated human or
          animal waste.
               I'm listening as a member of an agricultural
          agency that knows the efforts of our agricultural
          industry to try to address food safety concerns
                                                        29
          and prevent contamination.  And I'm also going to
          be listening to you as a mother and a grandmother
          because I want the safest and cheapest food
          supply.  I want it to continue; I want the older
          and the younger members of my family not to be
          submitted to any undue risk, but I also want them
          to eat more fruits and vegetables because it's
          the best way, and one that our National Academy
          of Sciences has recognized as the best way to
          prevent cancer and chronic human disease.
               So I commend FDA for their activity and I
          commend them on having the National Advisory
          Committee on Microbiology for Criteria for Foods
          to address this issue.  We would ask you to
          thoughtfully consider the committee's
          recommendation and to pursue those with all care
          and deliberation.
               We want you to continue, as you're doing
          here, to actively seek the input of all parties
          and we're delighted at that.  And we thank you
          for letting the input of those who know how
          fruits and vegetables are grown in real life to
          provide information to you.
               We want to all work together to seek the
          highest level of safety for the U.S. food supply
                                                        30
          and to aggressively apply current standards.  We
          want you to actively support country of origin
          labeling, too, so that consumers can know where
          the produce that they're eating has come from.
               We look forward to hearing from the
          industry, we look forward to continuing to work
          with FDA because we're a state in which
          partnerships are effective and we want to see the
          President's Initiative soundly and reasonably
          applied.
               Thank you.
               MR. HUTCHESON:  I wanted to take just a
          moment to welcome you on behalf of Dr. Chris
          Waddill, dean and director of the Cooperative
          Extension Service here in Florida, she couldn't
          be here today.  But the Extension Service here in
          Florida has a commitment to carrying out the
          educational role that has been given to us over
          the years.
               As I look at what's going on here today and
          what may come out of it in the future, we have
          dealt with and provided educational services for
          training of pesticide applicators leading to
          their certification when that came along, that's
          happening, of course, throughout the United
                                                        31
          States, and Extension Services came through on
          that.  The worker protection standards, when that
          came along, the Extension Service geared up to
          make sure that educational programs were there to
          be delivered to the agricultural people.
               So Dr. Waddill has renewed her commitment to
          make sure that the Extension Service here in
          Florida is able to deliver and to provide those
          educational services that are going to make a
          difference for the industry here in Florida.
               Whatever comes out of this meeting today and
          ultimately out of this process, the Extension
          Service will probably be -- have a responsibility
          for doing some part of the educational role that
          will be certainly associated with this.
               Since my role is to remain unbiased and not
          make any inflammatory comments, I'm going to kind
          of stop there and welcome you to the facility.
               I might say, there are some members of the
          press here today.  We have some tables over along
          the wall; if that's more convenient for you, feel
          free to use those.
               But, again, on behalf of Dr. Waddill and the
          Extension Service here in Florida, welcome, and
          we stand ready to support the industry and to
                                                        32
          make life as easy as possible at the end of this
          entire process.
               Thank you.
               DR. ARCHER:  I'm Doug Archer.  I'm from the
          University of Florida which is the land grant
          school here in the State.  And I don't speak for
          the University of Florida; if you know much about
          academics, nobody can represent academics, they
          all have their own opinions.
               In any event, I'm allowed to make
          inflammatory remarks, unlike Clayton, so I'll
          make a couple.
               We're here today to talk about this
          document, this draft guide.  And when I was with
          FDA, the last ten years I was with the agency, I
          spent in Washington, D.C., and there used to be a
          rule of thumb in Washington that when you put
          something out, it had to pass the hee-haw test,
          and if you think about that, it becomes self-
          explanatory.
               And I have to admit, when I was reading
          this, I did get a few hees and haws out of it.  A
          couple of them I'll just mention that I think the
          agencies might want to reconsider are some
          provisions such as covering reservoirs.  I spent
                                                        33
          $15,000 to cover my swimming pool and I still
          have frogs, snakes and other things that crawl in
          and out of it, so I don't think that's a
          practical solution.
               Another thing that I think they might want
          to reconsider is the control of migratory birds.
          I'm not aware that migratory birds have to land
          in order to defecate and, frankly, I'd rather
          have them on the ground where they probably
          aren't going to saddle up to the green bean bush
          to do their business, rather than indiscriminate
          bombing overhead.  So I don't think it's possible
          to enforce no-fly zones over the entire southern
          half of the State of Florida.
               Now that might sound funny, but I don't
          think it's funny for a variety of reasons.  I
          don't think it's funny if, in any way, these
          efforts, through publicity or whatever, decrease
          the consumption of fresh fruits and vegetables
          from whatever source.
               Remember -- and Dr. Roberts brought it up,
          but it's very important that we keep in mind --
          the consumption of fresh fruits and vegetables is
          the single most important preventive public
          health measure in the United States.  It saves
                                                        34
          more lives than food-borne disease takes ten
          times over each year.  And that is a fact, it's a
          medically proven fact; it's not speculation.
               Now, why is this effort happening at all?
          Well, I think Dr. Roberts also alluded to that.
          There is a good dollop of politics involved as
          well as some reality.  There have been some
          outbreaks associated with fresh fruits and
          vegetables.
               But where I take exception with some of the
          information in the guide are the examples that
          have been chosen.  I mean, there are some real
          outbreaks that can be cited.  But why confuse
          processed foods with fresh produce?  Why bring up
          frozen coconut milk?  I'm not aware that that's
          fresh produce.  Why give false examples of
          outbreaks?
               And I just pulled one because it happened
          here in Florida, and it's in the guidance
          document and it cites the outbreak in 1995
          involving fresh-squeezed orange juice at a theme
          park here in Florida.  And the add-on to that is
          that, although the cause of the contamination was
          not identified, at least one of the groups
          supplying oranges to the implicated processor
                                                        35
          irrigated with surface water that may have been
          contaminated.
               Well, if that's not speculation on
          speculation, I don't know what is.  Because the
          cause of that outbreak, I think, was pretty well
          established, and it had nothing to do with
          irrigation water.  So why have things like this
          in a document that's going to have any credence
          on the outside.
               I think what you'll hear today from a lot of
          people is, this thing is going too fast.  Now,
          there's a reason for that.  FDA is in the
          executive branch of government, and the Chief
          Executive of the United States told him to do it
          in 90 days.  And when he speaks, you do it in 9O
          days.
               I did the same thing, I had to do the same
          thing when I was there.  I never have experienced
          anything quite like this in the 20 years I was
          with the agency, but nevertheless, that's why
          it's on a fast track.
               I wish the process would slow down and I
          wish that more time and more care could be given
          to putting things down on paper; because once
          they're down on paper, sometimes they're very
                                                        36
          hard to erase.
               Well, I've said some negative things, but
          what are the positives?  I think there are some
          good things here and good things that need to be
          considered.  I think anything that decreases
          illness in the United States is a positive thing,
          and if this effort can do that, more power to it;
          let's get down to work and find the things that
          will have the most bang for the buck and do those
          things.
               But where should the effort be?  I mean,
          there's a lot in here on all kinds of things in
          the growing field, and is that really where we
          ought to be focusing our efforts.  And I say no.
          At least in my opinion, no.
               What I don't see in here -- I see some
          illusions to it coming in the future, but I
          really believe that the biggest bang for the buck
          would be anything that could empower the consumer
          and the end product user of fresh produce.
          Educate them, give them the knowledge they need
          to treat the food safely, not to contaminate the
          food and subsequently cause people to become ill,
          which many of these outbreaks have really
          involved, taking Neem juice, putting it on
                                                        37
          lettuce, feeding it to people and wondering why
          they become ill.
               I think the other big bang for the buck
          would be for the agencies that regulate either
          disinfecting compounds or sanitizing compounds to
          be able to put those, and assure producers that
          those compounds could be put on a fast-track for
          approval.  Without that, we have chlorine and we
          have precious little else that's been really
          approved and blessed by the federal government in
          the way of food additives.
               I think those are two things that the
          agencies could do and where they could devote a
          lot of these resources to really, really make an
          impact.
               Thank you.
               MS. ISAACS:  Thank you, Dr. Archer.
               And we do do a lot in the area of consumer
          education already.  We have a network of consumer
          affairs officers, now called public affair
          specialists, about 40 of us total nationwide, and
          we do work very closely with Extension.
               In fact, one of the programs that the
          Florida District office started with Brevard
          County Extension Service several years ago was
                                                        38
          recently recognized with -- they received the
          Vice President Gore's Hammer Award for Excellence
          in Consumer Education.  So I just had to add
          that.
               Our main focus this year is food safety for
          seniors and it's an elder education project, and
          most of the volunteers involved with this are
          family community educators affiliated with
          Extension.  And this particular program has also
          been extended to several other counties in
          Florida.  And in your package, you will also see
          a variety of some FDA consumer education
          materials.
               Okay.  Are there any questions at this
          point?
               You can see how we're going to proceed;
          Mr. Barnes is going to present an overview of the
          President's Initiative and get into the GAPS,
          take a short break, hopefully, the coffee will
          have arrived, and then he will continue with his
          preview and any questions that you have that need
          to be clarified, break for lunch, a short
          presentation by USDA, additional questions, and
          open it up to industry group presentations, a
          number of which have been -- to start us off,
                                                        39
          have been arranged by United Fruit & Vegetable
          Association, Stacey Zawel.
               Did I get that right, Stacey?
               DR. ZAWEL:  Pretty good, yeah.
               MS. ISAACS:  Okay.  We thank you all for
          your participation.
               Then we will open it up to comments from any
          other stakeholders.
               Now, we have seven folks lined up from the
          Fruit & Vegetable Association members who are
          going to kick off the industry presentations.
          And anyone else who knows now that they're going
          to want to comment, can sign up over there at the
          desk.  We have an industry sign-up sheet, and
          also all stakeholders' sign-up sheet just so that
          we'll flow a little quicker.
               Okay?  Any questions?  Stacey?
               DR. ZAWEL:  Should I go to the mike?
               MS. ISAACS:  Whatever.
               DR. ZAWEL:  Martha, I had a question. Stacey
          Zawel with United Fresh Fruit & Vegetable
          Association.
               Martha, you had stated in your introduction
          something about imported strawberry outbreak.
               DR. ROBERTS:  I meant imported raspberry
                                                        40
          outbreak.
               DR. ZAWEL:  Okay.  Thank you.  I just wanted
          to clarify.
               MS. ISAACS:  Okay.  Anybody else?
               DR. ROBERTS:  Thank you for the correction.
               MS. ISAACS:  Okay.  Mr. Barnes?  Come on
          down.
               MR. BARNES:  Good morning.  My name, again,
          is Richard Barnes, and I am one of the team
          leaders for the Food Safety Initiative Team
          working at FDA.
               I've been with FDA a couple of years as the
          Director of Federal State Relations.  I came to
          FDA from the State of Oklahoma, where I was
          Director of Consumer Protection before going up
          and deciding to work with the Food and Drug
          Administration.
               A couple things I'd like before I get into
          the presentation to talk about how we got to this
          point, the President's Initiative, and then
          actually talk about the good agricultural
          practices.
               First of all, several people have said, you
          know, this is a -- why pick on the fruits and
          vegetables.  And we really are not.  This is part
                                                        41
          of a total initiative, and I don't know if you've
          seen this report to the President May of 1997.
          Food safety from Farm to Table, a National Food
          Safety Initiative.
               And I'm involved, complete with all of the
          food safety initiative involving all of this, as
          well as the produce and import food safety
          initiative part that is leading to the guide to
          minimize microbial problems, hazards in fruits
          and vegetables.
               The process, the President's entire program
          is exactly that; it's from farm to table.  It
          takes the whole system and puts it together into
          a package.  And so it talks about what -- this
          part of it that we're talking about this morning
          and what happens on the farm and the producers,
          packers and so on that lead up to the retail
          distribution chain, through the retail chain, and
          all the way to the consumers.
               Several weeks ago, the secretaries of USDA
          and Health and Human Services announced the
          campaign called Fight BAC, B-A-C, which is a
          consumer campaign with four things they're
          concerned about in educating the consumer on
          handling foods.
                                                        42
               The 1997 FDA Food Code has been produced and
          is out for distribution, and part of the food
          safety initiatives is to encourage jurisdictions,
          agencies to adopt the Food Code, which contains
          the best science available for the retail
          industry.  Upgrading and looking at more good
          manufacturing practices; the use of HACCP, Hazard
          Analysis and Critical Control Points throughout
          the processing and manufacturing industry for
          food products, and also in now looking at retail,
          and where that fits and how that all goes
          together.
               So this Food Safety Initiative is a
          composite of everything from farm to table.  It
          puts us all together, all of us, as food safety
          people protecting each other to ensure the safety
          of our food supply throughout the entire thing.
          So that's one part that I want to bring up.
               Secondly, I'm going to walk over here and
          turn the overhead on, and I'll keep trying to
          talk, hopefully, you can hear me, the group isn't
          real large, so that you can hear me.
               People have asked about the schedule.  This
          is the tentative schedule that, as Dr. Archer
          said, we are held to by the President of the
                                                        43
          United States in trying to meet the guides that
          he wants for the Food Safety Initiative and the
          Produce Food Safety Initiative.
               In November, on the 12th or 17th, there was
          a public meeting that was held in Washington, it
          was also held with the Produce Subcommittee of
          the National Advisory Committee for the
          Microbiological Criteria for Foods.  I have to
          stop and think when I say that.
               As a result of that, the working draft of
          the guide was produced and put out, which all of
          you have.  And I would like to ask you, how many
          of you have seen a copy of the guide prior to
          today?  How many of you have had a chance to
          really look at it?  Okay.  Good.
               In my presentation a little bit later -- I'm
          not going to go through word for word of the
          guide -- we want you to be able to take time to
          look at it; those of you who haven't had a
          chance, those of you who have to digest it, to
          look at it, and to provide comments not only here
          at the meeting, but also the written comments
          that you're able to do through the end of
          December.  In January, we're going to compile and
          evaluate all of these things that are being done.
                                                        44
               Again, as we told you this morning or at the
          beginning, there's a transcript being provided.
          Those transcripts are going to be gone through by
          the scientists at the agency.  We're also looking
          at bringing in our other people to assist us
          during this entire process of the whole food
          safety initiative; state people, industry people
          that are going to assist in this whole process.
               Then, from that, we're going to publish a
          notice in the Federal Register sometime in March,
          where there will be another comment period.  At
          the end of the comment period, there may be
          another meeting, depending on what's necessary,
          what comes out of all the comments.  And then,
          sometime in July or later, the availability of
          the final guide will be produced.
               Now, is this hard and fast, somebody said.
          And as of yesterday, my meeting very early
          yesterday morning, no, it is not.  We are held to
          what the President tells us, but some of it may
          be shifted back a little bit, and that is based
          on the comments that we're getting from people
          from the first two grassroots meetings.  So some
          of this time line may be moved back somewhat as
          we go through the process.
                                                        45
               Okay.  Any questions on that I'll take?
          That's just a very brief overview of the
          schedule.
               Now I'm going to have to turn -- we're going
          to use some slides, so I'll turn the lights down
          a little bit when I get ready to do that, and if
          I don't get lost in my notes, we'll be all set in
          being able to read my notes from up here.
               We encourage you to ask questions.  One of
          the reasons I came to the Food and Drug
          Administration -- Dr. Vanderveen talked about the
          change in paradigms -- and one of the reasons
          that I applied and was very excited about going
          to work for Food and Drug was the fact that I was
          going to be a part of the change of the paradigms
          at the agency.
               I'm here and I like to be here and I'm glad
          to present here because it involves my view and
          my change of paradigm, my guess for this, and
          that is that it involves everybody.  It involves
          the state, it involves the growers, it involves
          the producers, it involves the consumers to have
          input into things, which is a change from the way
          things have been done in the past.
               And so that's why I'm part of the team, is
                                                        46
          to encourage and to make sure that I remind
          everybody during the whole process that we want
          the input from as many people as possible to make
          sure that this is a consensus document; that this
          guidance -- and I'm going to stress that word
          over and over again -- that this guidance has the
          input of everybody who wants to have something to
          say into it before it's finalized.
               Okay.  If you could turn the slide projector
          on for me please, Camille?  See how we have to
          adjust the lights.
               Can you see that?  Good.
               Initiative to ensure the safety of imported
          and domestic fruits and vegetables.  In October
          of 1997, the President announced a directive to
          improve the safety of fruits and vegetables for
          both domestic and those imported from foreign
          countries.  In his message, he wanted to develop
          guidance to the industry that would not have the
          force of regulation, that would not be a
          regulation, but would provide guidance to the
          industry, taking the input of everybody who was
          interested to help improve the safety of fresh
          fruits and vegetables to minimize the risk from
          unsafe produce.
                                                        47
               Again, several people already have talked
          about the outbreaks that have occurred over the
          past years, and there have been several of those
          that have occurred from both domestic and from
          imported produce, but the goal is that we want to
          have the safest produce available to our
          consumers.
               And we do have that, and the President said
          so in his message, that we do have a very safe
          produce supply, but that we wanted to increase
          it.  And we want to increase it because both he,
          the National Cancer Institute, the Food and Drug
          Administration, the USDA, all support the idea
          that more fruits and vegetables, fresh fruits and
          vegetables are important to the health of our
          nation and our citizens and our consumers.
               We all know that the idea of having fresh
          fruits and vegetables in our diet is important to
          our national health and that we want to keep it
          that way, we want to keep it safe and we want to
          make it safer as we go through this entire
          process of the farm to table food safety
          initiative, improving the safety of foods all the
          way along the line.
               The elements of the initiative include a
                                                        48
          legislative element, that one's already been
          done.  On November 23rd, a bill was introduced
          into Congress to give the Food and Drug
          Administration the authority to work on imported
          foods very similar to what USDA, FSIS has for
          meat and poultry products.  It would allow us
          to -- and I have some of the dates -- it was
          supported by -- introduced in the House of
          Representatives on November 13th, it's HR-3052,
          it's called The Safety of Imported Food Act of
          1997.
               And essentially what it says is it changes
          21-CFR, or the -- I'm sorry, not 21-CFR, but the
          Food, Drug and Cosmetic Act, to add some language
          that would allow the Food and Drug Administration
          to look at foods that come into the country based
          upon -- and I'll say that have not been imported
          in the United States, that have not been
          prepared, packed, and held under a system of
          conditions or subject to measures that meet the
          requirement of the Act, or otherwise achieve a
          level of protection required as determined by the
          secretary.
               Well, there are several steps that the
          agency must go through before that's done, and
                                                        49
          there are several things that are different from
          what the USDA has.  There would be no
          pre-approval, for example, what FSIS has is going
          into foreign meat plants.  We have to show as an
          agency how we would enforce such a rule, how we
          would implement it.  We'd have to show that no
          one would be denied entries of products into the
          country or that there would be licensing or pre-
          approval, for example, like low-acid canned
          foods.  So all of that has to take place as a
          result of this legislative proposal before any of
          it happens.
               The administration portion of it is the
          guidance to industry, which we're going to talk
          about shortly, the good agricultural practices,
          and eventually good manufacturing practices, as
          well, to deal with that segment of the industry
          from the farm up through other places where it is
          controlled already under the CFRs.
               And I hope that all of you understand when I
          say CFRs, what I'm referring to it's the Code of
          federal regulations; it's the documents that
          guide the Federal Agencies and have the rules and
          regulations written into them.  21 Series is the
          Food and Drug Administration, for example, the 40
                                                        50
          series is the Environmental Protection Agency,
          and so on.
               You're going to hear me talk a lot this
          morning about good manufacturing practices that
          are already in place for producers and
          manufacturers.  The good manufacturing practice
          is Section 110 of the 21 CFR series.
               And then there's also a budget request, and
          that would be for '99, for FY99.  There is no
          money budgeted for this initiative in FY98.  So
          some of the things that would be done under it in
          both domestically and imported for it would be in
          FY99.
               And the biggest requirement why we're here
          today is that we had a requirement to report to
          the President within 90 days of the October thing
          on where we were and how we were going, how this
          process was coming together, how the project was
          working, good agricultural practices, good
          manufacturing practices, what the schedule would
          be for all of those things to get it done.
               And as Dr. Archer said, the man that we work
          for made the request that we do that in 90 days,
          and we're trying to adhere to it as much as we
          can.
                                                        51
               Under the administrative section, the FDA,
          in conglomeration with the USDA, is to issue,
          within one year, the guidance for good
          agricultural practices and guidance for good
          manufacturing practices.
               As a part of that, beside those guidance
          documents, also, then, we're going to work
          together to coordinate assistance and educational
          activities to both domestic and the foreign
          industry, the farming and producing industries,
          and both of them will be done as a part of that.
          Already, there has been cooperation between --
          Cooperative Extension Service talks about doing
          some of this, as well as hooking on to what's
          being done, as I talked about earlier, on the
          other Food Safety Initiative as well.
               There it is again; guidance, not regulation.
          Several people -- and we have said that you're
          going to hear that too much, and perhaps I need
          to just reinforce it again.  That is the goal of
          this document.  We want it to be a guidance
          document, an assessment, a self-assessment, to
          use another word, for the growing community to
          look at their practices, to help improve their
          practices, to help increase the food safety or
                                                        52
          the safety of food, fruits, and vegetables in the
          in the food safety chain.
               It's to help the farms, the growers, and the
          producers identify the appropriate practices
          where you can minimize microbial hazards.  And
          the cartoon underneath that is Fight BAC; that's
          the one I talked about that's being geared
          towards consumers in the country.  There was a --
          the secretary's released last month, you're going
          to see more of him in many things.
               And there's four areas, again, in that to go
          along like the four areas of the good
          agricultural practices; clean hands, avoid cross-
          contamination, proper temperatures, and cooking.
               Good Agricultural Practices, the Guide to
          Minimizing Microbial Food Safety Risks for Fruits
          and Vegetables is the document that we're going
          to look at a little bit later.  That's what they
          want -- or the President wanted us to produce, to
          do.  It is a broad scope document.  It is going
          to be very broad.
               Many of the things you've already heard this
          morning, Dr. Roberts talking about the water in
          Florida, for example, there will be sections of
          the guidance document that are not going to
                                                        53
          apply.
               In other discussions we've had, for example,
          the amount of manure that's used in vegetables
          and fruit production in the State of Florida, for
          example, is very minimal, except for chicken
          litter, perhaps, in some areas.  So it's going to
          be different areas of the country that are going
          to have different parts of that document be
          important to them, depending upon local laws and
          regulations, depending upon current practices.
               And that's why we're here.  Again, we're
          here to let you tell us what things will work for
          you, what won't, and if things are left out of
          the document that we have not considered, that
          those things get -- become a part of it as well.
               We've already talked about the public
          meeting that happened in November and these
          meetings.  The international meeting will occur
          next Monday in Washington, D. C., and there also
          is a second explanation of the good agricultural
          practices meeting that's going to occur, I
          believe, in Miami sometime next week.
               Now this -- I left this slide in because it
          was used at the other grassroots meetings.
          However, I can tell you that the specific GAPS,
                                                        54
          good agricultural practices, good manufacturing
          practices for four fruits and vegetables is being
          reconsidered.  And as a result of the comments of
          the grassroots meeting, although we never had any
          criteria had been decided of what would be used
          for these fresh fruits or vegetables, none had
          been selected; it was intended that it will all
          come through a public notice, a Federal Register
          notice and public meetings.
               At this point in time, as a result of the
          first two grassroots meetings and input from the
          industry, this is being reconsidered on whether
          or not there will be some specific -- this year
          or anytime in the near future -- whether there
          will be specific good agricultural practices or
          good manufacturing practices for four fresh
          fruits and vegetables during FY98.
               So I've left this slide up because it was
          part of the other grassroots meetings, but also
          tell that you this whole process for the specific
          GAPS and GMPs is being reconsidered.
               Outreach and educational activities are a
          big part of this process.  Assistance to the U.S.
          farmer by the FDA and USDA on implementing the
          good agricultural practices, the new FDA
                                                        55
          Extension Service, educational programs,
          assistance with people that you are used to
          working with and being part of your farming
          community to assist you in doing an assessment of
          your growing practices.
               There's also going to be, in FY98, technical
          assistance to foreign countries.  To initiate the
          development of training modules and to coordinate
          the development of non-FDA training network,
          which might involve industry groups, which might
          involve associations, which might involve private
          entities, to provide technical assistance to
          foreign countries using the same document to help
          them to be sure that their -- the level of safety
          of their produce is the same as ours.
               That's a very quick overview of how we got
          to here, of how the President put forth this
          portion of the Food Safety Initiative.
               Are there any questions I can answer about
          this part of it anyway?  Anything I've left out?
               Yes?
               MR. BROWL:  Which of the four fruit and
          vegetables --
               MR. BARNES:  Could you go to the microphone,
          please?  And also, state your name for us.
                                                        56
               MR. BROWL:  My name is Joseph Browl
          (phonetic) I'm executive vice president of the
          Florida Gift Fruit Shipper's Association.
               Which of the four fruit or vegetable groups
          you have considered or are still considering,
          GAPS and GMPs in 1998?
               MR. BARNES:  None have been considered that
          I'm aware of.  The original proposal was that
          there would be eight sometime selected, that
          there would be specific good agricultural
          practices or good manufacturing practices
          selected for.  None have been selected or even
          looked at.
               What was proposed was that through the
          industry, through other means, eventually some
          would be looked at.  But as I said, that are now
          being reconsidered and there are no -- at this
          point in time anyway, there's a possibility that
          that will not be done in the near future.
               But that will happen with consultation with
          everybody.  Again, this is an open process.
               Yes?  Please go to the microphone, state
          your name, please?  I'm sorry, there's somebody
          in the back, Stacey.
               MR. ROBBINS:  John Robbins, consulting
                                                        57
          engineer in food sciences.
               Is that a function of the criteria that's
          involved, or is that a function of public comment
          that there's nothing been added to that list?
               MR. BARNES:  The criteria were never
          developed.  There was never a criteria that we
          had developed to that point in time.
               What we had announced was that we would look
          at some specific good agricultural practices for
          some specific commodities.  The criteria were
          never developed to that point in time.
               But as a result of the comments from the
          first two grassroots meetings and from the
          industry as a result of some other presentations,
          that is being reconsidered on whether or not
          there will be specific GAPS or GMPs for products.
               MR. ROBBINS:  Thank you.
               MR. BARNES:  Stacey?
               DR. ZAWEL:  Stacey Zawel with United Fresh
          Fruit & Vegetable Association.
               Richard, I missed something that you said
          and wanted to get clarification on a Miami
          meeting?  What is that and what's it about?
               MR. BARNES:  Camille, help.
               John, do you have that?
                                                        58
               MR. VANDERVEEN:  There will be -- I believe
          there was another Miami meeting planned under a
          different auspices and we are going to make a
          presentation there.
               I believe our director of the constituent
          services is going to make that presentation.
          There are a group of people from various
          countries coming to be at that meeting anyway,
          and it was an opportunity to inform them about
          our program and our -- and our legislative
          initiative, and that's an opportunity.
               Do you have anything more to say on that,
          Terry?
               MR. BARNES:  The meeting and, again, to
          follow what John said, is a presentation; it's
          not a grassroots meetings.  It's a presentation.
               MR. VANDERVEEN:  That's right.  It's just a
          presentation.
               MR. BARNES:  Right.  I'm sorry if I left you
          with the impression that it's a grassroots
          meeting.  It is not.
               MS. BREWER:  It's a committee of Latin
          American Action --
               MR. BARNES:  That's right.  Latin American
          Action Council.
                                                        59
               MR. VANDERVEEN:  This meeting was planned a
          long time ago.  It was put together by the
          Foreign Aid Service.  We were invited to
          participate.  It was designed to help with
          providing information to countries about our
          requirements in meeting the regulations that we
          have for foods being sold in this country.
               There were some other meetings planned in
          other countries.  I believe they're still going
          to occur.  The original focus had more to do with
          pesticides and things of that sort.
               MR. BARNES:  Yes, ma'am?
               DR. MALECKI:  Hi, my name is Dr. Jean
          Malecki, I'm a health officer here in Palm Beach
          County.
               And my question has to do with the document
          itself, and I understand that it's one deeply
          routed in values.
               My concern, and probably this will be
          discussed later -- if it wasn't going to be, I
          hope it will be -- with all the guidance and
          technical assistance that can be provided, my
          concern is more of importation, what happens from
          a regulatory standpoint if there is still
          evidence of contamination?
                                                        60
               MR. BARNES:  Terry?
               MR. TROXELL:  Your question is, if we find
          contamination on a product that's offered for
          entry?
               DR. MALECKI:  If we still have continuing
          human illness related --
               MR. TROXELL:  We would be able to take
          action against those products under the Food,
          Drug and Cosmetic Act.
               DR. MALECKI:  Well, in the past, we have
          not.  So I was wondering if there's going to be a
          dialogue in the future in terms of relationships
          contractually and so forth.
               Right now, it's obvious to me that it's been
          a consumer choice more than anything else.  And,
          again, my concern is, is that if we provide all
          this guidance and technical assistance, again, my
          concern is importation; what does ultimately
          occur from epidemiological evidence, from public
          health relationships with the folks as FDA would
          have a health commission to either embargo or
          stop sale.
               MR. TROXELL:  At this point, we would need,
          under the FD&C Act, to make the link of a
          poisonous or deleterious substance such as a
                                                        61
          microbiological problem in the product, or that
          the products were produced under unsanitary
          conditions to prevent their importation.
               DR. MALECKI:  Thank you.
               MR. BARNES:  At one of the other grassroots
          meetings -- and to show you that things are being
          done all over the country and many of them have
          been looked at in the process -- there is one
          that -- one of the Cooperative Extension Services
          had a brochure, Prevention of Food-Borne Illness
          Begins on the Farm.  And Dr. Archer, wherever you
          went to -- one of the things -- I like words
          anyway, and one of the first sections in here is
          clean soil.
               Any other questions on the first part of
          this?  We are waiting for coffee to be set up.
               Would you like to take a short break now,
          even though the coffee isn't ready, or would you
          like me to go on and we'll take a break when that
          gets done?  We'll be flexible.
               Go on?  All right.  We'll do that.
               MS. ISAACS:  Hold on, Richard.
               MR. BARNES:  We'll go about, maybe 15
          minutes, 20 minutes?
               MS. ISAACS:  Okay.  If you come back 15
                                                        62
          minutes --
               MR. BARNES:  No, I thought they said go on.
               MS. ISAACS:  Oh, okay.  All right.
               MR. BARNES:  So about 15 or 20 minutes and
          then we'll take a break.
               MS. ISAACS:  Never mind.
               MR. BARNES:  Again, the scientists who work
          on this document are in the room.  When you ask
          questions, if you ask me, for example, the time
          and temperature requirements for composting
          untreated manure in a 30 degrees centigrade
          environment that's very damp, you'll see this
          glazed look come across my face, and I'll start
          pointing to someone.
               And, also, I'm not going to go into
          specifics of this whole document.  We want you to
          take some time to look at it, to develop opinions
          on what it is.  I'm going to highlight only
          during this presentation what is in the guide to
          minimize microbial food safety hazards for fresh
          fruits and vegetables.
               And so I'm going to talk about the document
          in general.  At the end, we'll do a short
          question and answer period, then we will either
          go to lunch, depending upon how we do on time.
                                                        63
          Probably we'll go to lunch a little bit early and
          then come back and then do the other
          presentations.
               The reason for the document in the beginning
          of it talks about the reasons for this guide; the
          recent outbreaks have raised concerns about the
          safety of foods, including fresh fruits and
          vegetables that are not processed to eliminate
          pathogens.
               And that's part of the problem.  The problem
          is that we do not have a way to eliminate
          pathogens from some fresh fruits and vegetables.
          You know the names of the microorganisms,
          cyclospora, E. coli 0157:H7, Salmonella,
          cryptosporidium.  There are many organisms that
          have been involved in outbreaks in recent years
          involving fresh fruits and vegetables that are
          difficult to remove.  I mean, we don't have fried
          lettuce sandwiches; we don't cook lettuce to 155
          degrees for 15 seconds like we do a hamburger.
          And so we have to be involved in the entire
          process from farm to table in ensuring that we do
          not -- we reduce or eliminate pathogens wherever
          possible in that process.
               They're not subject to many of the steps
                                                        64
          that normally occur in food processing that would
          eliminate or reduce microbial load that most
          processed foods receive, or they aren't cooked.
          Therefore, we have to find other ways to reduce
          the microbial contamination, especially for raw
          produce products.
               And, again, at the same time, we have to do
          that and what we're telling people eat more of
          them; it's important to your health.
               Potential vehicles for pathogenic
          contamination, and which this document is divided
          in, are into four areas; water, manure/municipal
          sewage slush, water field facility sanitation
          hygiene, and under transportation there is one
          other area which is called the trace-back; where
          we're now calling it positive lot identification
          instead of trace- backs.
               Again, as you've heard everybody say, it is
          intended as guidance only; it's intended as
          self-assessment.  It's not a check list; it will
          not contain everything that you need to know.  We
          will not have every bit of information that's
          there.  But it's to get you to think, to look at,
          and evaluate your growing practices, your on-site
          processing facilities, to look at what could be
                                                        65
          done to minimize the food safety risks.
               It encourages you to take a proactive role
          in the food safety chain.  It will be the first
          step in the food safety chain.  It has the best
          advice of FDA and USDA in consultation with all
          of you.  The reason for the grassroots meetings
          with scientists, Cooperative Extension, the
          universities -- and other universities, with
          anybody who is willing to provide input into that
          process.
               The document focuses on common elements in
          growing, production, and distribution, and where
          they will reduce the risk of microbial
          contamination.
               However, it does not contain all of the
          scientific knowledge that we have or that we are
          aware of, or that we know about to get everything
          to answer all the questions.  There are many gaps
          in the science, treating manure, for example.
          There has been a lot of research and work done
          with municipal sewage sludges, but not as much
          done with manure.
               And so there's a lot of gaps in the science.
          And part of this initiative is to improve the
          science, to develop research, to help provide you
                                                        66
          with better information for your farming
          practices.
               Where there's uncertainty, the guidance will
          be qualified using terms like "minimize" or
          "avoid" or "where feasible".  And those are words
          that are used in guidance.  Again, somebody said
          the difference between guidance and regulations;
          regulations usually don't use those words, they
          usually use "shall" or "may" or "do".
               In this case we're saying, you want to look
          at, minimize, or avoid where feasible.  And
          that's important because there are some times
          that you cannot do that, you cannot avoid certain
          things.  You cannot avoid the birds flying over.
          I don't know how to do that.  If you invent
          something, please let me know, I'll invest in it.
               It is intended to provide practical advice
          appropriately qualified.  And appropriately
          qualified means as a result of this process, of
          going through the whole process of ensuring that
          everybody has input.
               In some areas, the guidance may properly be
          more specific such as when practices are related
          to federal, state, or local laws.  As Martha
          Roberts talked about earlier, in Florida the
                                                        67
          water usage is fairly tightly controlled.
          Alternate water sources may not be available to
          you, so you're stuck or restricted in what you
          can do based upon federal, state, or local laws.
               In many cases, a packing house may come
          under the Code of Federal Regulations and the
          good manufacturing practices, Section 110,
          because they are considered a food processing
          establishment, where some are not.  And that has
          a lot to do with where they're located, the type
          of process they're in, and so on and so forth.
          And it depends, in the Code of Federal
          Regulations on how they fit into that process.
               Many times packing houses in the field, open
          sheds where packing is done, it's gone directly
          from there to the retail segment and through the
          distribution chain and through the retail
          segment, are not covered under that good
          manufacturing practices.
               Common vectors for pathogens of all fresh
          produce, such as water and manure.  There are
          certain things that are common to growing no
          matter what.  And there are vectors that we know
          are there.  Water -- and I'm going to talk about
          it in a few minutes -- is a very, common vector
                                                        68
          for many, many pathogenic organisms.
               On the other hand, there's also a big
          difference in the size of the farms, the
          regionality of farming practices, types of farms,
          climate, soil differences, fertilizer sources,
          employee availability, et cetera, et cetera, et
          cetera.
               The document will try and take into account
          in being general and broad-scoped to account for
          all of those things.  But, again, there are some
          sections that you may find in this area that do
          not apply, where in other areas they do.
               One of the things that I was thinking about
          this morning, in the section that talks about
          making sure that you restrict livestock from the
          fields.  And at this time of year in Oklahoma and
          Texas and that part of the country, they are
          grazing their cattle on the wheat fields, eating
          the green tops off of them.  And that's a common
          practice.  That's a common practice in that part
          of the country, although it's not a fresh fruit
          and produce, that's a common practice of letting
          the cattle into the fields for the winter wheat.
               Then there are cultural practices that vary
          widely between different types of produce and
                                                        69
          different varieties of specific types of produce.
          A strawberry is not a strawberry is not a
          strawberry, or a rose is a rose is a rose.  How
          you grow a strawberry here in Florida may be
          different from the way it's grown in another part
          of the country.
               Martha Roberts said this morning that, for
          example, many of you have already gone to drip
          irrigation.  Well, that's not true in other parts
          of the country where they're unable to do that
          for many different reasons.  And so there's
          different ways of doing things, even within the
          same product, based upon different sections of
          the country.
               We want to be able to tailor it as much as
          possible, but allow enough flexibility in the
          document to ensure that the differences that
          occur across this country can be taken into
          account.
               And the last question there -- I stepped
          ahead too much -- is the question of why we're
          here.  How can we best provide practical concrete
          advice to growers that will move us toward safer
          produce without being unnecessarily costly to the
          growers and the industry?
                                                        70
               Now, that's what the guidance document is
          intended to be.  And how can we do that?  How can
          we best provide that guidance that will assist
          you in ensuring the quality of the products.
          Okay?
               Water.  Now, before we get to the actual
          section, there's a couple other sections in the
          document you need to be aware of.
               Definitions.  It talks about several
          definitions.  There may be some need to add some
          more in there, or you can be a judge of that kind
          of thing that might need to be defined a little
          bit better for certain people or certain entities
          in that document.
               The first section is on water.  And I
          think -- how are we doing on the coffee?  Can
          you --
               MS. BREWER:  Ten more minutes.
               MR. BARNES:  Ten more minutes.  Okay.  Keep
          talking.
               Source and quality of water are extremely
          important.  One, because water is an inherent
          source of contamination itself.  Because it picks
          up -- when I went to college, I learned that
          water is called the universal solvent; you give
                                                        71
          it enough time, it will dissolve anything, and it
          will carry it with it as it goes through the
          process.
               And so it can pick up and become a source of
          contamination itself.  And you can't say because
          it comes out of the water tap that it's safe
          water.
               If you remember the cryptosporidium outbreak
          in Michigan, that's it.  You've always thought,
          well, if you turn the tap on, the water comes
          out, it must be safe.  Well, it isn't always that
          way.  We have to be constantly vigilant about the
          water supplies that we're using to ensure that
          they maintain and they stay safe.  It's a very
          good vehicle for spreading pathogens in the
          field, during harvest, or in the packing house.
               And the water you start out with may not be
          contaminated, but it can become contaminated
          through the process; either in the process of
          washing, moving fruits or vegetables through a
          flume, using water as a transportation vehicle,
          cleaning the food, so on and so forth.
               These are some of the organisms that can be
          carried through water and have been associated
          with outbreaks that are associated with different
                                                        72
          types of fruits and vegetables and water
          products, as well.
               Because of water's potential as a source of
          pathogenic microorganisms, growers should
          carefully analyze their practices involving
          water.
               Use a lot of ground water.  I just put a new
          well pump in my well, and I wound up having to
          chlorinate the daylights out of it to clean the
          well back up again, to get the E. Coli out of my
          well as a result of putting a new pump and
          fooling around with it, touching it, and doing
          everything else.  That water was safe before, and
          now it's safe again.  But in between times, I had
          to test it and to treat it, to make sure that it
          stayed safe.
               So you have to be able to look at your
          practices and what you've done, what's going on,
          what's happening around you involving the water
          products and the water that you're using.  You
          want to try to seek to limit the possibility for
          water-borne contamination.  And that gets more
          and more difficult as it goes through the
          process.
               Recognize the potential for water source to
                                                        73
          contain pathogens.  If you're using a surface
          water source, is there runoff from someplace
          else, are you downstream from a sewage plant, has
          there been a lot of rain that has allowed runoff
          from a livestock operation upstream from you.  Is
          there a dairy operation upstream from you where
          there is a creek or a tributary that runs through
          the field where the cows are pastured.
               So you've got to look at what happens to the
          water, and then also that it has sufficient
          quality for its intended use.  Using a surface
          water to do the initial dirt wash off a product
          that is going to then be further washed down the
          road in the packing shed with a cleaner water
          supply, that's the kind of process that you want
          to look at.  So what is its intended use.  You
          need to tailor it to the needs of the operation.
               Now, in the document, for example, it talks
          about -- I can't say it -- counter-current flow.
          In other words, you want to start where the
          product is supposed to be the cleanest with your
          cleanest water, and if you're going to reuse that
          water, like Dr. Roberts talked about this
          morning, is that the water goes back towards the
          beginning process so that you don't -- that you
                                                        74
          use your cleanest water at the point where you
          want the product to be the cleanest, and if
          you're reusing that water, that it then goes --
          it's reused back at a different portion, not at
          the final rinse stage, for example, is one of the
          ways you can do it.
               And, again, the guidance does not preempt
          any applicable federal, state, or local
          regulations or laws or practices.  You've got to
          combine all of that together.  Dr. Roberts said
          this morning, there are plenty of regulations,
          and that's true, there are.  And sometimes the
          regulations do what we want them to do, and
          sometimes they don't.
               One of the things I do other than this kind
          of stuff, is I do a lot with teams and with
          change.  And one of the -- I believe Steven Cubby
          (phonetic) said, you give a man a fish, you feed
          him for a day; you teach a man to fish, you feed
          him for a lifetimes.
               Sometimes in the regulation business, we're
          doing the former, and what we really need to do
          is the latter.  And sometimes this type of
          document, guidance, that has the input of
          everybody, does the latter.
                                                        75
               Growers should consider -- don't fail me
          now.  So, again, do an assessment; identify and
          review the source of water used on your farm.  If
          it's in Florida, then you're controlled by the
          Department of Environmental Quality using ground
          water, you still need to look at what has
          happened to that ground water, what have you done
          to it.
               As the degree of water to produce contact
          increases, so does the need for good quality
          water.  Again, the higher up the chain that you
          get closer and closer to the consumer, the higher
          the quality of water needs to be.  And the review
          can include determining whether the source of
          water is from a well, open canal, so on and so
          forth.  In that process, you're going to look at
          the water and what's happening to it as it gets
          closer to that end product.
               Now, this one; controls may include delaying
          water use till the water quality improves.
          That's not very practical.  We realize that.  But
          what we want you to do is to be aware of that, be
          aware of what's happening to your water so that
          you can change, if necessary, do something
          different.
                                                        76
               Now, that may not be practical, as
          Dr. Roberts said this morning.  You're pretty
          well controlled in the State of Florida in how
          your water usage is done, but you need to look at
          that process.  If something does go wrong, what
          are your alternatives, what kind of things can
          you change in your particular operation.
               Irrigation water.  Again, many factors
          influence the choice of an irrigation system.
          Water availability and state, for example, is
          what I just talked about earlier.
               Cultural requirements for different types of
          crops.  An orchid needs a different water supply
          than a strawberry or raspberries do.  So in the
          way that it's supplied to.  Depending upon the
          crop, you need to look at considering the water
          delivery system that minimizes the direct water
          to produce contact for certain produce, or that
          that contact is far enough away from the
          harvesting of the product that the likelihood of
          pathogenic contamination is decreased.
               Water used for crop protection sprays also
          needs to be considered.  Although you may say,
          well, it doesn't make any difference, I'm just
          mixing a pesticide with this, it's been found
                                                        77
          that many pesticides mixed with the water do not
          necessarily kill microorganisms that are in that
          water; they're not designed to do that, so they
          may survive.  So the contamination could be still
          there.  And so the water that's used to mix crop
          protection sprays also needs to be considered in
          the process.
               Let me catch up to my notes.
               Mixing crop protection sprays.  Growers need
          to be sure that the water is of adequate quality
          for this purpose.
               Good agricultural practices to protect the
          integrity of the water source.  For example, if
          you're using your ground water to mix a herbicide
          or a pesticide, you want to be sure that, not
          only is that good quality for the stuff -- the
          pesticide or herbicide spray that you're going to
          use to spray on the crops, but you also want to
          be sure that your pesticide doesn't contaminate
          your water source.  There are many, many
          instances around the world where someone has been
          mixing pesticides or herbicides and accidentally
          wound up putting it back into their water source
          into the well or even into the municipal water
          supply.
                                                        78
               Once you get to the point where you're
          using -- you're starting to wash produce, you
          really need to take a better look at the water
          supply to make sure it's safe and sanitary, and
          that it is in a packing environment that you're
          using, as you go through the process, you're
          using cleaner water.
               Even with sanitizers, the water might
          eliminate the pathogens on the surface of the
          produce, but it may not.  And in some cases, the
          pathogens are internalized, the wash water is not
          going to do it.
               When I flew in yesterday, after we came
          under the clouds, I looked down, I could see a
          lot of swimming pools.  And I know a lot of you
          know about swimming pools; this is very similar
          to it; a good analogy.  You put two kids in the
          swimming pool and the chlorine level stays pretty
          high; you put 40 kids in the swimming pool, what
          happens to your chlorine level.  It disappears.
               The same thing is occurring when you're
          washing fruits and vegetables; as you continue,
          and you've lowered microbial load and it
          increases in the water, even with chlorine in it,
          it uses it up, and if you're not careful, if
                                                        79
          you're not monitoring it, if you're not replacing
          it, like an automatic system in a swimming pool
          will do, the ability to kill pathogens or to
          reduce them in the water goes away and becomes
          virtually nothing.
               There's one of the things in there that
          already was commented on, on tomatoes, one of the
          guidances in there was talking about washing
          tomatoes with water that's ten degrees warmer
          than the tomato to stop internalization of the
          thing.  So the growers -- many of you said, but
          you don't understand, we're trying to cool the
          produce and get the field heat out of it at the
          same time.
               And this is one of those things where we
          come to you and say, here's a scientist saying,
          this is a good way to keep the pathogens out of
          the thing using scientific principle, and here's
          a grower saying, but I've got to do something
          else.  Somewhere we've got to find a way that
          those two come together, and that's part of,
          again, why we're here.
               If pathogens are not removed or inactivated,
          they can spread so a significant portion of the
          produce becomes contaminated.  And that's, you
                                                        80
          know, the old adage, the one bad apple, the
          barrel of apples; same thing.
               If you had one load coming out of the field
          that was very highly contaminated for some
          reason, and you start mixing it together in a
          wash tank and washing it together, now all of
          them could become contaminated if you're not
          careful of what's happened with that water.
               Chlorine, as Dr. Archer said, is one of the
          most commonly used ones.  There are some others
          being used that are used in other environments,
          like processing or food service environment, but
          they have not been used for this type of
          operation.
               And again, once you get into using these
          kind of things, you want to be sure that you
          understand their usage, how they should be used,
          and how to monitor their use during the time that
          you're using it as a disinfectant.
               Cooling operations.  Water and ice used in
          cooling should be considered a potential source
          of contamination.  Several food-borne illness
          outbreaks have occurred as a result of ice; ice
          made from an improper source or ice becoming
          contaminated.  It is just like a water.
                                                        81
               One of the things that I deal a lot in the
          retail environment, earlier this week, I said I
          was working on the retail portion of the Food
          Safety Initiative; we talked about many of the
          same kind of things that we'll talk about later
          in hygiene.  You know, when people who take your
          glass in a retail environment and stick it
          through the ice, what have they done?  Have they
          contaminated the ice?  Very possibly yes.
               Okay.  So you've got to look at that because
          of outbreaks of the organisms shown here.
               Growers need to be made aware of the water
          source used to make ice needs to -- used for
          cooling operations has to be in good sanitary
          condition.  But, again, it's becoming in contact
          with the produce and, therefore, should not carry
          pathogens to the produce, but you should do it.
          Okay?
               MS. BREWER:  Richard?  We're ready.  We can
          take a break now.
               MR. BARNES:  Okay.  That's a good break.
          We'll just break right here for 15 minutes.
          We'll be back at 11:00 o'clock.
               (Thereupon, a short recess was taken.)
               MR. BARNES:  We'll try and get through this
                                                        82
          section of it here in about 20 minutes, do a
          short question and answer, and then break for
          lunch a little bit early, take an hour for lunch
          and get back and then finish up this afternoon.
               I'm going to try and speak a little bit
          slower so that I don't wear out our
          transcriptionist before lunch.
               And a couple things from earlier that people
          brought up.  One is that, when I was talking
          about water and wash water and talking about the
          supply of the water, municipal supplies, potable
          water supply, I did not mean to imply that, as a
          grower, if you're using municipal water, you
          should go test it; that should be done for you by
          the entity, the municipality, the authority
          providing the water to you, and they should have
          the records.
               So I didn't mean for -- when I was talking
          about potable water, that you should be testing
          water all over the place.  Just be aware of your
          source of water and where it comes from.
               We talked about water and ice and cooling
          and, finally -- and this is the very end of it --
          is that, again, it's just that we want you to be
          aware of the fact that water is a vehicle for
                                                        83
          spreading localized contamination; that water can
          carry pathogenic organisms with it, and that it
          can be spread from one group of products to
          another, or spread through a group of products;
          that when you're using water in washing
          operations, that you're aware of the potential
          contamination of that water as it's being used,
          and that you monitor its use throughout the
          process.
               Manure and sewage sludges.  As I said
          earlier this morning, health officials and
          scientists agree that animal manure and human
          fecal matter are a significant source of human
          pathogens, and that untreated use of these -- use
          of untreated products such as these on a product
          that is not going to be further -- where the
          pathogens are not going to be further reduced is
          a significant risk.
               The use of manure or municipal sewage sludge
          in the production of produce must be closely
          managed to limit potential for pathogen
          contamination of produce.
               Now, we know that -- and I'll talk about it
          in a minute -- that there are not a lot of use of
          municipal sewage sludge so much in the farming
                                                        84
          community, but that it has been used.  And where
          I come from and was working in Oklahoma, every
          spring, one of the places we went to get the best
          tomato plants was at the city municipal sewage
          sludge plant, because they were grown in the
          drying beds and they had beautiful tomato plants
          that got about that high that you could take home
          and plant and grow nice tomatoes.
               So it is being used, and there is more
          research has been done on municipal sewage sludge
          than on a lot of manure products.  So there is
          some evidence of its use.  They know that this is
          a good soil conditioner and that properly treated
          sewage sludge that has pathogens reduced and does
          not have heavy metals in it -- which is one of
          the other things that they definitely look at --
          municipal sewage sludges is a good soil
          conditioner and fertilizer.
               You've got to be alert to the presence of
          human or animal fecal matter that may be
          introduced into the produce growing and handling
          environment.  The use of manures, whether it's
          chicken or other type of animal manure, is used
          in the environments.  And, again, it talks about
          in the document, site packing, for example, and
                                                        85
          so on.  You've got to be aware of that process.
               Properly treated manure or municipal sewage
          sludge is a safe and effective fertilizer.  But
          untreated or improperly treated manure could
          contain pathogens that eventually would get into
          the produce and contaminate the produce.
               And, for example, with some produce, leafy
          produces like lettuces or whatever, if it was
          contaminated, it may be very difficult, then, to
          wash that product or to eliminate the pathogenic
          organism from it before it goes on through the
          food safety chain.
               Although municipal sewage sludge is not
          widely used on fields growing fresh produce,
          there is a lot of information about its use and
          where it has been used, and it does, again, serve
          as a source -- untreated sludge serves as a
          source of contamination for produce.
               Again, the sources of fecal contamination,
          untreated or improperly treated manure, nearby
          composting or treatment operations, nearby
          livestock or poultry operations, municipal
          wastewater storage or disposal areas, you know,
          if you have a produce field very close to a
          municipal sewage plant and something happens
                                                        86
          because of a rain or whatever and they have to
          bypass, even though that's their -- with all the
          requirements they have, if that happens, if they
          bypass and it gets into your field, you need to
          be aware, if that happened, the possibility of
          contamination of produce.
               And then, finally, the last one, high
          concentrations of wildlife in growing areas.  We
          were talking during the break about some of the
          things Dr. Archer talked about, covering ponds.
          And, again, those -- that's not a thing, but
          covering tanks might be a better analogy.
               We would not ask -- and I was telling them
          in Maryland, the deer we have, I don't care how
          you build a fence, if the deer want in, they're
          going to eventually get there to your garden.  So
          that's not -- again, it's looking at what's
          around you; what types of contamination can
          occur.
               And Dr. Roberts was talking about, saying,
          you know, putting in a produce growing area
          downhill from a cattle operation is not -- would
          not be considered really good practice and
          should -- and would be the kind of thing we're
          looking at.
                                                        87
               Growers need to develop and follow good
          agricultural practices for handling manure to
          reduce the potential of introducing microbial
          hazards of produce.  And this talks about
          different practices; processes such as composting
          to reduce the levels of pathogens, minimizing
          direct or indirect manure-to-product contact, and
          assessing adjacent or nearby land to determine
          the risk that it may pose as a result of water
          runoff, wind blowing, and so on and so forth.
               Some of the treatments to reduce pathogens
          in manure; passive, nature and time.  There is a
          competition that occurs with the soil
          microorganisms that have a tendency to overwhelm
          the pathogenic organisms when it's tilled in and
          it is allowed to sit for a period of time.
          Active types of things, like pasteurization,
          anaerobic digestion, aerobic digestion, et
          cetera.
               Composting divides it again, which most of
          you are probably aware of, what it is and how it
          helps to make the manure safer, reduce the
          pathogenic or the organism level in the manure so
          that it can be used as a safe amendment.
               And some of the science is there, some of it
                                                        88
          is not.  The NCRS has some data on composting,
          they have some booklets on composting we can use,
          talks about some of these things that have been
          done with EPA and municipal sewage sludge, two or
          three days at 131 degrees, I think it is, I can't
          remember what the exact temperature was.  It
          talks about they know that that will reduce the
          thing, but some of it for manure is not known.
               And, again, how you compost manure here in
          Florida is going to be a lot different in
          December than how you compost manure in North
          Dakota, so there's a big difference in how that
          works.
               We don't have the data to tell you all the
          time and temperature recommendations.  In one of
          the statements in there, it talks about -- maybe
          one of my next slides -- of putting it on the
          soil so many days ahead of time then leaving it,
          and these are minimum amounts of time.  And
          there's one of them, it talks about 120 days.
          And there's not really the science to support
          that yet, but it's a recommendation.
               Again, it will vary, depending upon whether
          you're using treat or untreated manure.  And,
          again, here's a -- the growers may reduce the
                                                        89
          risk of contamination from manure by maximizing
          the time between application and harvest.
               The minimums range from 40 to 60 days, but
          some recommendations are 120 days or longer.  And
          that's a recommendation; that's not always -- and
          that's part of the research process that's going
          to go on under this initiative, is to look at
          those kind of things to determine and to give you
          better data on what kinds of things you need to
          do, what kind of operations need to take place,
          moving the product from outside in, et cetera, et
          cetera, et cetera.
               Natural fertilizer, such as composted manure
          have to be produced in a manner to reduce the
          likelihood of introducing microbial hazards.  And
          there's many questions about that.  If it's been
          produced in a composting facility, it gets to you
          and you store it outside for a while, is it
          possible for microbes to get to grow or to be
          reintroduced into the composted or treated manure
          for fertilizer.
               So how it's handled and what happens to it
          after it's been treated may have an impact, and
          there's some of that information that is not
          available.
                                                        90
               Cross-contamination which could occur as a
          result of your composting operation from stuff
          being wind-blown or runoff from it going downhill
          into your field where you're growing the produce.
          Depends on, again, looking at the process, how
          and where it's being done, is there any
          likelihood of contamination occurring in that
          process.
               And, again, there's some -- not a clear
          indication that composting or other treatments
          totally eliminate the pathogens.  In many cases,
          you're not talking about a sterile product.  It's
          been reduced to a low enough level, but it's not
          a sterilized product.  If you were going to buy
          sterilized manure, that's one thing, but if you
          just composted it, it may reduce the pathogens.
               But, again, in some of the organisms that
          have been seen, the levels that were required to
          cause food-borne illness may be very, very low.
          So even though we reduce them to a very low
          level, it may not be enough to eliminate the
          possibility of contamination of the final
          product.
               So you want to consider even treated manure
          under the same aspect that you might untreated
                                                        91
          manure, being sure there's a long enough period
          of time, even after you applied treated manure to
          the product before harvesting is similarly to
          what you would do for untreated manure.
               Again, here it talks about cross-
          contamination runoff, leaching from wind spread
          from your composting operation or your manure
          handling operation.
               We're going to go on now and talk a little
          bit about sanitation and hygiene and microbial
          hazards associated with workers and people who
          are working in the field.
               The worker health and hygiene do play a
          critical role in the controls to minimize
          microbial contamination of fresh produce.  The
          fecal oral route is the majority of the way that
          many of these pathogenic organisms affect people.
               That is how it occurs; that's where the
          organism is shed, from the human body, a person
          who is ill, and can wind up on the hands or
          something else, and wind up back in the mouth of
          another person.
               And so the fecal oral route is the primary
          microbial concern with most of the organisms
          we're talking about.
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               Good hygienic practices by workers are
          essential in the control of microbial hazards.
          And, again, as I had talked to you earlier or
          showed you earlier the other document from farm
          to table, that's part of the essential thing all
          the way through to the consumers.
               All of the educational campaigns, all of the
          documents that you see from the entire Food
          Safety Initiative reemphasize this, that good
          hygienic practices from the farm all the way
          through the housewife or house-husband at home
          preparing the meal are necessary in order to
          avoid the contamination of the food products.
               People who are ill, who are working in any
          part of the food safety chain, whether it's in
          the field, picking produce, packing it,
          distributing it, processing it, serving it,
          retail to the consumer, anywhere along that line,
          it's possible that it can become contaminated and
          wind up causing illness.
               What we would like -- and in the document it
          talks about -- is to control those hazards in the
          growing environment.  Employees tell -- or report
          to the person who's in charge about their health
          as they go -- as they're working, to talk about
                                                        93
          diseases that they understand and have some
          education or are talked to about the diseases
          that are transmissible through food that they may
          carry, that they could contaminate the food
          product with.  That the people in charge should
          be aware of the health of their employees,
          wherever possible.  And that individuals with
          diarrheal disease shouldn't be handling directly
          fresh produce.
               Now, we realize that you could certainly not
          say to the farm worker, or the person working in
          the shed, if you're sick, we can't let you work.
          Their livelihood is just the same thing we deal
          with in the restaurant; they are paid for the
          time that they're there.  But what we have done
          in the other environments is look at what other
          kinds of tasks can that person perform without
          actually having their hand on the food product
          itself.  Could they drive a truck, could they
          clean and maintain equipment that day, could they
          work at -- I should say work in the manure pile,
          that's not -- are there other things that they
          can do other than actually putting their hand on
          the produce during times that they're ill that
          might minimize their contact with it.
                                                        94
               All the employees who are involved in the
          harvesting, packing, and distribution of fresh
          produce should be trained in good hygienic
          practices.  I can tell you from my long
          experience in hand washing, without getting up on
          my soap box, that a great percentage of the
          people in this country do not wash their hand
          after they go to the bathroom.  And that's not
          out only in the fields; that's every day, every
          place you go.  If you don't believe me, next time
          you go out to the theater, you go somewhere out
          to dinner or whatever and you go to a public
          restroom, take a minute and look and see; look
          and see how many people come in and go out, and
          the only thing they stop at the sinks and the
          mirror for is to check their hair.
               Consider establishing a training program.  A
          good training program would cover -- a part of it
          would cover hygienic practices.  Also, it might
          be part of a total program where you look at all
          the other things that are necessary for you as an
          operator or producer in the field.
               A system to monitor.  How can you be sure
          that the people that are working in your packing
          shed, after they have gone to the little green
                                                        95
          building out back, have washed their hands before
          they come back in and sort produce or chop it or
          put it in plastic bags.  They need to be taught
          proper hand washing techniques.
               Wherever possible, you'd like them to use
          warm water and soap.  But any water and soap --
          any potable water and soap is going to remove
          contamination from their hands, especially after
          something that talks about things in the thing,
          after smoking and eating, after going to the rest
          room, which is very, very important, after being
          out -- let's say that they did work in the
          morning, working shoveling or working at the
          composting pile with manure, moving the outer
          layer into the center.  Then in the afternoon
          they're coming and helping with the harvest.  You
          want to be sure that they have not caused any
          cross-contamination, that they've washed their
          hands.
               On-site latrines and elimination of wastes
          outside of these facilities with some kind of a
          good toilet facility needs to be ensured.  There
          has to be a way for people to eliminate waste
          from their body in a safe and sanitary manner
          that is not going to cause pollution or
                                                        96
          contamination of the environment or the produce.
               Toilet facilities, the proximity and
          accessibility for harvest crews is important.  If
          you're harvesting a section of land and you've
          got one port-a-potty that's at the opposite
          corner of it, is it accessible to the employees
          or are they not going to make it all the way over
          there on their way.
               So you need to look at where they're
          located, that you have enough facilities for the
          number of people that are working, and that
          workers have the opportunity to use the
          facilities when needed.
               Assure that the location of facilities is
          not near a water source that's used in irrigation
          or that there's any way that contamination from
          that should it overflow or gets blown over, it
          leaks, whatever is going to contaminate water
          source, the produce itself, equipment that might
          be used out in the field, so that there's no way
          that runoff or anything else is going to
          contaminate the product.
               Again, hand washing stations, it's very
          important, especially after using the rest room,
          anybody with diarrheal disease should be suspect
                                                        97
          and should be looked at as a possibility of
          carrying or shedding the pathogenic organisms,
          and that's a call that you're going to have to
          look at and do, but the idea of having toilet
          paper, the ability to wash and dry their hands is
          going to make a lot of difference.
               Service the portable toilets away from the
          field, if possible.  If not, to be sure that the
          truck that services it can get into the field and
          close to it without contaminating anything.  If a
          spillage should occur from the truck, that it
          doesn't wind up all over your produce, et cetera.
          Make sure the drainage is correct.  If something
          does go wrong, that it's disposed of away from
          the produce or the packing shed or whatever other
          facility you're using.
               A little bit different.  This is the
          harvesting precaution itself for the product.
          Wherever possible, get as much dirt, mud, et
          cetera, off the produce while in the field.  What
          you're talking about here -- or what we're
          talking about is eliminating as much
          contamination as possible before it gets into the
          packing shed, before it gets into the
          transportation system, before it gets into the
                                                        98
          packing boxes, et cetera.
               Somebody said -- we talked about muddy
          cartons or pallets, using them to stand in in the
          field while they are harvesting, standing on the
          pallets or standing in the cartons that the
          produce is going to be packed in while they're
          filling one, and then stepping out of it, and
          then using that one, then, to fill the produce.
          Those kind of things need to be looked at during
          the harvesting operation to be sure that there
          isn't cross-contamination or contamination of the
          vehicles that transport the produce.
               If it's packaged in the field, make sure to
          look at the contamination process -- or that it
          isn't contaminated and being carried through the
          system.  Inspectors, anybody else who is handling
          the produce, sorting it, grading it, whatever
          they're doing with that product, that they also
          have good hygienic practices; that they're
          washing their hands or using some other method of
          ensuring that they don't contaminate the produce
          themselves.
               Equipment maintenance.  Now we're talking
          about field equipment.  Maintaining equipment
          sanitation.  Now that word sanitation does not
                                                        99
          mean sanitizing.  And that just means the ability
          to remove gross dirt, et cetera, from the
          harvesting or the equipment that's used in the
          production process or the harvesting process.
               That may be everything from harvesters to
          tools, et cetera, et cetera, that need to be
          cleaned on an occasional or regular basis to
          ensure that they don't add to or contribute to
          the contamination of the final product.
               You certainly are well aware you're not
          going to use a manure spreader to hall lettuce
          back to the packing shed, but the other pieces of
          equipment need to be looked at as well for gross
          contamination.  If that farm wagon that's towed
          behind the tractor happened to go through the
          field that you just applied untreated manure to,
          and you're not going to produce, there's a
          possibility that it's going to carry some of that
          back into your produce field.
               Again, you're going to look at the whole
          facility so that anything in the process from
          harvest through processing that makes contact
          with the produce is cleaned and is not going to
          add or contribute to the contamination of that
          product.
                                                        100
               Poor sanitation in the packing house can
          increase the risk of contamination of the produce
          and the water supplies that are used in that
          environment that are used with the product.
               Again, closed packing houses in many cases
          that are permanent facilities may be covered
          under the Code of Federal Regulations, Part 110,
          Good Manufacturing Produces, and the water and a
          lot of the cleanliness and the equipment types
          and so on that are used in that facility are
          going to be different from the ones that are used
          in an open packing shed out in the field.
               Equipment that is used in the packing
          process or in the processing facility, knives,
          saw blades, et cetera, et cetera, need to be
          inspected and cleaned on a regular basis.  Again,
          it goes back to the same thing we've been talking
          about all along, anything where there's a
          possibility of adding to or putting contamination
          into the product needs to be looked at and cared
          for in the proper manner.
               Pest control.  Here, we're talking about
          primarily in a closed facility; a closed packing
          house, not an open packing shed.  You want to be
          sure that animals are excluded, that maybe it's a
                                                        101
          source of contamination.  So there are many
          things that can be done even around open packing
          sheds that eliminate or reduce the risk of insect
          or rodents, birds, et cetera from being in that
          environment.  Not giving them harborage, places
          to hide, to nest, those kind of things.
               So those things you just need to look at to
          try to keep the processing facility, the packing
          house and the grounds around them in good
          condition so that they don't become a vector for
          contamination.
               And then there's transportation.  Now that
          we've got it out of the field, it's been in your
          packing house, it's put in the packages, the
          crates, the pallets, whatever the method of
          transportation is, now it gets -- starts it
          through the food safety chain moving up towards
          final consumption.  And this is a part that you
          also need to be aware of.
               The people who transport your food products,
          what kind of vehicles are they using.  You're
          certainly not going to be putting your crates of
          lettuce into a cattle hauler for him to take back
          because he hauled cattle down here and now he's
          going back to somewhere up north, he's going to
                                                        102
          hall your lettuce back.
               You want to be sure that the vehicle that is
          being used to transport your product that you
          spent so much time and effort on to ensure it's
          free from contamination doesn't add to the
          contamination at that point in time.
               Cross-contamination with other foods and
          non-food surfaces can occur during transport.
          There's a DOT law that was passed many years ago,
          most of you are aware of, called -- regarding the
          back-hauling of hazardous waste products, the
          back-hauling of food products after hazard waste
          and those type of things were hauled in vehicles,
          to ensure that that doesn't occur.
               But that doesn't cover other kinds of things
          that might be in vehicles.  So you need to be
          aware of what might happen during the transport
          of your product to ensure there's segregation
          from other types of food that might contaminate
          your produce and to ensure that the carrier has
          met some kind of sanitation requirements; the
          truck has been washed out, been swept out, that
          the -- there's no leftovers from the previous
          cargo that's carried in that that could lead to
          or cause a problem with your product.
                                                        103
               And, again, this is a communication problem.
          Make sure that all along that way, that you're
          aware of what's happening to your product while
          still under your control.
               And traceback -- and, again, we're calling
          this, really, positive lot identification instead
          of traceback.  Traceback is the process that we
          go through when we look back to find -- an
          epidemiologist goes back, a health professional
          goes back to try to find out the cause of the
          food-borne outbreak.
               Positive lot identification is the ability
          to identify those lots.  And this becomes very
          difficult.  It is very difficult to do this and,
          we realize that, and that's why it's here,
          because we need your suggestions.  We realize
          that after it leaves your facility, your packing
          house and it goes to a distributor, it may be
          commingled or that, in some instances where it's
          going directly from your field to someone who is
          packaging the product who bought the product from
          you, they commingle it with products from many
          other farms.
               And so positive lot identification is a
          problem, but we need your input into how we could
                                                        104
          better do that.  How could we better identify the
          products coming from anywhere so that they could
          be followed back so we know where they came from
          so we could determine how the contamination is
          occurring and stop it.
               Again, traceback won't prevent a hazard, but
          it can limit the potential scope of an outbreak,
          limit the populations at risk, lead to specific
          sources or fields, lessen the economic burden on
          the operators and on the growers, limit the
          economic burden on specific products.
               In talking to the gentleman earlier about
          the impact that -- somebody saying this caused an
          outbreak or that caused an outbreak, it happened
          in the whole industry; we've seen that over and
          over again.  We know that that happens.
               We've seen it with hamburger chains who did
          not have contaminated hamburgers, or even have
          meat product in their thing, but because they had
          a hamburger, they felt the impact of it.  So we
          see that all the way through the industry.
               Again, positive lot identification minimizes
          the unnecessary expenditure of public health
          resources, reduces consumer anxiety, and that the
          operators have procedures to trace it back from
                                                        105
          the farm to receiver and so on.
               If there's any things that -- ideas that you
          have to help us with that process, to talk about
          how we can better identify the lots, that's
          information we're interested in.
               And this just talks a little about traceback
          and the type of things that are needed in order
          to follow a product back to its roots.
               And that's a very brief, very general
          overview of the guide.  Let me put the lights on.
          Wake up.
               With that, it's about 11:30; why don't we
          have a few minutes of questions about the
          presentation, if you've got any questions that we
          can answer quickly, and then we will break for
          lunch.
               So does anybody have any questions this
          morning or are we just ready for lunch?
               DR. ARCHER:  Doug Archer, University of
          Florida.  I just had a quick question because I
          came across it when I was reading the guidelines.
               What is the perceived risk for open lesions?
          I mean, I know aesthetically it's not fun to
          think about eating blood, but what's the risk?
          What's the microbial risk?
                                                        106
               MR. TROXELL:  The ongoing infection and
          spreading that in -- the infectious materials
          into the produce.
               DR. ARCHER:  I mean, usually we think of
          staphylococcus, you know, as the risk from an
          open lesion.
               I'm not aware of a single outbreak of staph
          food poisoning from fruit and vegetables, and I
          think there's a good reason for that
          physiologically.
               But what other kind of infectious -- I'm not
          aware of any food-borne infectious material that
          gets passed along from a lesion.  That was my
          question.
               MR. TROXELL:  Okay.
               DR. ARCHER:  And I guess the other one I was
          curious about, there's a lot of detail on hand
          washing procedures for people that are working in
          the growing field.
               What about people in the grocery store?
               MR. BARNES:  There -- and I talked this
          morning about the total continuum of this farm to
          table.
               DR. ARCHER:  No, I mean a consumer.
          Probably they fondle produce a whole lot more
                                                        107
          than the people --
               MR. BARNES:  The -- again, the Fight BAC
          campaign, one of the things it talks about is
          specifically that, is geared towards the
          consumer.
               The food code, that covers a whole segment
          of the retail industry, goes into great detail on
          hand washing and the necessity for that and the
          GMPs and the processing and the manufacturing
          environment, which is probably better controlled
          there than in many places, it goes with that
          there.
               This is the final piece.  Again, this is the
          farm to table continuum, and your comment about
          the -- other than Staph aureus from an open
          lesion, again, that may not be a significant
          factor in the field, but it is part of the
          continuum.  If we continue to talk with the same
          message all the way from farm to table, the
          message gets through.
               Anything else?
               DR. ZAWEL:  Stacey Zawel from the United
          Fresh Fruit & Vegetable Association.
               Terry, I had a question for you regarding a
          specific statement in the document, and I know
                                                        108
          this has been mentioned over and over in the
          sense of the impracticality of this specific
          recommendation which is in 1.1 under irrigation
          where it says to cover open reservoirs.
               I never asked the question and so now I'm
          going to ask you the question.  In the context of
          developing some of these ideas or things that a
          grower could institute to impact public health,
          what is it that was envisioned here?
               MR. TROXELL:  Covering open reservoirs was
          an earlier draft.  Is it in this -- I mean, I
          thought we pulled it out.
               MR. BARNES:  Yes, it still is.
               MR. TROXELL:  It is?  Well, it shouldn't be
          there.
               DR. ZAWEL:  Okay.
               MR. TROXELL:  And it was supposed to be
          changed to being a -- protecting your --
          basically, your water shed.  And that's the kind
          of thing you can have some impact on.  But --
               DR. ZAWEL:  Okay.
               MR. TROXELL:  -- covering reservoirs doesn't
          work.
               DR. ZAWEL:  Thank you.
               The other statement that I wanted to make or
                                                        109
          follow with a question is that, the United Fresh
          Fruit & Vegetable Association represents growers
          all across the United States as well as in other
          countries and, in fact, many of our growers
          domestically also grow in other countries.
               And so given that, it's important for us to
          take a position that we need to encourage the
          appropriate food safety measures no matter where
          we're growing, and I think that the industry
          domestically has certainly shown a tremendous
          amount of leadership in that area, and now the
          federal government is also doing the same thing.
               But along that line -- obviously, it's going
          to be very important how that gets implemented so
          it doesn't impact a domestic grower.
               And along that line, though, the WTO is
          undertaking this, and CODEX has, in fact,
          directed, at the last food and hygiene committee
          meeting, directed Canada, or a Canada volunteer
          to draft guidance in this area for cold produce,
          and France had also volunteered to draft guidance
          for fresh-cut, and I'm wondering how this is all
          going to fit together, or if it does.
               MR. BARNES:  To answer that, yes.  And in my
          notes, which I kind of couldn't see all of them
                                                        110
          that are written down, but I had -- in the
          beginning of it, I want to talk that this was
          designed to be consistent with WTO and with GATT
          and with other things as well.
               And so that -- that -- I didn't say that,
          but that fits into what you're saying, is that we
          don't want this to be inconsistent with any of
          those things, nor do we want to develop something
          that -- reinvent the wheel, I guess is the best
          way to put it.
               So those things, we hope, will be
          incorporated as we go through the process.
               DR. ZAWEL:  So you --
               MR. VANDERVEEN:  Well, let me just make the
          comment that in order to deal with CODEX, we have
          to have a position.  And to get out in front of
          it is a lot better than trying to react to what
          someone else is writing.  And a quick reaction is
          also good.
               So if we can get our heads together and come
          up with what we think is a good guidance, and
          there's general agreement with it, we can respond
          to whatever drafts that come around.
               And let me just say, also, we're trying
          desperately that when a CODEX document does get
                                                        111
          out, we want public comment on that, as well.
          But I think we ought to have our discussions
          amongst ourselves long before CODEX gets to the
          point of having a final draft.
               MR. TROXELL:  Let me add, also, that, as you
          recall in the public meeting on the 17th, Stacey,
          I acknowledged and commended the industry for the
          work that they've already accomplished in this
          area and, you know, the work that's been done has
          been well articulated and efforts to implement it
          have been well done, and I think it's going to
          help us come up with a good document that -- you
          know, we can put out as a -- as something for
          both domestic and imports to work with.  I think
          it's going to help us come out with something a
          lot quicker and it will be a better document,
          so --
               DR. ZAWEL:  And one sec.
               I guess my concern is that -- or not
          necessarily concern, but my hope would be -- and
          I know Canada has talked to the FDA -- is that
          this document be perhaps a model wherever, that
          we, the U.S., takes a role and works closely with
          Canada in the development, and I think you're
          already doing that.  But rather than having two
                                                        112
          separate initiatives for U.S. growers, that could
          be part of developing equivalent standards for
          the U.S. -- for the world.
               MR. TROXELL:  And the process we have
          outlined is inviting everybody to participate.
          We're going out of our way to solicit input from
          every major producing region in the U.S. and
          trying to solicit input internationally, that's
          why we're holding an international meeting and
          hoping we will be able to come up with something
          that will be a template for the CODEX, will be
          able to show some leadership here, and I don't
          think with the way things are -- the status of
          the situation, that we really can wait for two,
          three, four years for CODEX to come to agreement
          on something.
               MR. BARNES:  Yes?
               MR. STUART:  My name is Mike Stuart, I'm
          with Florida Fruit & Vegetable Association, and
          this is a question for any one of you up on the
          panel.
               We've been hearing a lot that -- through
          this process about the importance of making sure
          that this guidance document is consistent with
          the WTO, and I guess that's fine.
                                                        113
               But I guess my concern is, what efforts are
          we taking to ensure that the guidance is
          consistent with existing state, federal, and
          local laws and regulations?
               We've got, obviously, a very complex set of
          rules and regulations that apply to this
          industry, not just here in Florida, but
          throughout the United States, and to the degree
          that there may be provisions in it -- we've
          already talked about some of the irrigation
          issues, but I think there are some of the issues
          regarding worker reporting and that type of thing
          that may perhaps apply in the face of either
          local or state regulations or even federal laws
          and regulations that would apply to that specific
          area.
               What are you doing from an inner-agency
          process to ensure that we're being consistent and
          not providing guidance to an industry that might
          be encouraging them to get into some gray areas
          of other laws that they're already required to
          comply with?
               MR. TROXELL:  We -- this is a very --
          obviously, a very complex agricultural system,
          and the requirements across the country vary
                                                        114
          tremendously.
               This document probably does not say it
          strong enough, or say it at all yet, as a matter
          of fact, but the recommendations here, the
          advice, the -- to minimize this, when feasible,
          et cetera, that's in here, has to be like that
          because of the great variety of the situations
          across the country.
               But we need to make it very clear in here
          that this does not substitute or replace any
          state or local requirements, and we will do that.
          This is not to undermine in any way --
               MR. STUART:  I guess the reason for the
          question, I don't want to see producers in the
          United States, anywhere in the United States,
          Florida in particular, finding themselves in a
          situation where they're having to deal with their
          buyers in the marketplace because they want them
          to comply with the particular items found in this
          guidance, and then having that particular
          provision, whatever it happened to be, put them
          in some gray area against state or federal law or
          regulation on that specific area.  I think that's
          extremely important that you don't put producers
          in that predicament.
                                                        115
               MR. TROXELL:  And we agree, and if there's
          items in this document that cause such problems,
          we need to know about those items.
               MR. BARNES:  And there are several sections
          in there involved, that Terry said, that already
          talked about applicable -- I think a couple of my
          slides showed that where the applicable guidance
          may come from federal, state, or local laws
          that -- first, and these may supplement it a
          little.  But that those existing laws are what
          need to be followed.
               This is a guidance document, again.  And
          maybe we need to put that in each chapter, but I
          know it's in there in several places.
               DR. ROBERTS:  May I be permitted to ask a
          question, too?
               MR. BARNES:  Certainly.
               DR. ROBERTS:  Along that very same line, I
          know there's been a lot of discussion, even in
          the room today, as to how best can FDA state
          within the document that these should not become
          de facto regulations at this very moment, you
          know, with buyers insisting that people meet a
          certain specific suggestion within your proposal.
               MR. TROXELL:  Well that, of course, is
                                                        116
          always a risk that guidance or advisories will
          become, effectively, requirements through
          contracts by your grocery stores or your food
          service establishments and so on.
               The only thing we can really do there is
          emphasize that this is guidance; it's not
          regulatory, it's not binding.  And the other
          thing I think that helps that situation is, in
          the document we talk about minimize, avoid to the
          extent feasible, you know, if practical, and so
          on, and it's very difficult to take those terms,
          which are -- to take those terms and convert them
          into something that becomes a requirement.
               I mean, because if you say avoid to the
          extent feasible, well, okay, that's a matter of
          degree, and people can avoid to the extent
          feasible to different degrees.
               MR. VANDERVEEN:  I think, Martha, you do
          bring out a good point, and I think we'll go back
          and, maybe you want to put on the front of this
          document as draft.  It's clearly a draft at this
          point in time; it is a working draft, and we
          probably have been a little hasty in not labeling
          it as such.
               MR. BARNES:  It is labeled at the bottom in
                                                        117
          little letters.
               MR. VANDERVEEN:  Oh, yeah.  It says working
          draft down in the bottom.  You might want to put
          that in great, big letters at the top, especially
          if you're --
               MR. TROXELL:  We would clearly like to hear
          your ideas and how we can cast this to help avoid
          the problem of this becoming a requirement
          through contracts.
               MR. VANDERVEEN:  Well, the question of when
          it's a final document, if someone wants to use it
          in that manner and they have good reason to do
          it, then that's reasonable.  But we do have
          that -- we recognize that that is an issue.
               MR. BARNES:  We've got -- how about two more
          questions and then we'll break for lunch.  And
          we'll start in the back, you were up there first,
          please.
               MR. MATTHEW:  Good morning.  My name's
          Charlie Matthew, I'm with Florida Fruit &
          Vegetable Association.
               In the guidance you've dedicated an entire
          section to crop protection sprays.  And my
          question is, what information and data do you
          have that would show this much significance to
                                                        118
          crop protection sprays?
               MR. TROXELL:  I don't think -- well, there's
          no intention by the amount of words to indicate
          the weight of the problem.  I think we just need
          to use as much -- put as much information in
          there as necessary to assure that the correct
          practices are taken.
               I don't know that this is a very serious
          problem, but it's something that we have to
          recognize and make recommendations to deal with.
               MR. MATTHEW:  And I agree with you, that
          there possibly could be perhaps the potential.
               But my question is, you know, you've
          dedicated an entire section to the importance of
          this, and I don't understand -- and what are the
          instances where you can document that applying
          pesticides had resulted in problems, you know,
          microbial problems?
               MR. TROXELL:  Okay.
               MR. MATTHEW:  And following along with
          that -- and I don't handle this -- but you're
          using language like "should" and "verify", that I
          don't know, perhaps we should be using -- should
          be using verification and other things that other
          places that are perhaps more important than
                                                        119
          something where we really don't, to my knowledge,
          have a documented occurrence of a problem.
               DR. ROBERTS:  Terry, if I might on that --
               MR. BARNES:  Thank you.
               DR. ROBERTS:  -- earlier point, you know,
          again, we have a whole section in there, and to
          my reading and recollection, the only instance
          you ever show where that might be a problem is in
          your investigation of the Guatemalan raspberry
          situation, and some of the documents that you put
          out there about a situation in a foreign country,
          you were then -- the description of what you
          found said that that was a potential problem in a
          foreign country on the Guatemalan raspberries and
          cyclospora.
               But I've never seen a documented mention for
          a domestic situation.  There may be some that I
          don't know about.
               MR. TROXELL:  But this document is for
          domestic and foreign produce production.
               DR. ROBERTS:  Okay.
               MR. BARNES:  One more question, and then
          we'll go to lunch.
               DR. BEASLEY:  Terry, I'm going to put you on
          the spot, I guess, because basically -- my name's
                                                        120
          Larry Beasley and I'm with A. Duda & Sons.  We
          grow about 40,000 acres of vegetables and a
          little bit of citrus and I'm quite concerned
          about your guidance document.
               We're talking about perception of a
          perceived problem, and we're talking about
          liability.
               Mike Chappell, John Vanderveen, Martha, you
          brought up the subject of guidance, Richard
          Barnes, you brought up the subject of guidance.
               I'd like to point out to you, there's a
          buyer here from Kroger, and he's drafting his
          letter now to his buyers with the tick marks on
          it based on your guidance document, telling us
          what we will or won't do, and what they will
          consider that we have to have in place in order
          for them to purchase from us.
               This is not guidance.  Guidance is only one
          step in the evolution of a regulation, and I
          don't care what you write in fine print or bold
          print on your document; this is a regulation.  No
          question.  Point made.
               MS. ISAACS:  Okay.  Enjoy your lunch and
          please be back one hour from the time you
          currently have on your watch.
                                                        121
                            -  -  -
               (Thereupon, a lunch recess was taken.)
                            -  -  -
               (Thereupon, the Public Hearing resumed at
     1:05 p.m.)
               MS. ISAACS:  This afternoon we're going to
          begin with the role of the USDA and our presenter
          is Dr. Ricardo Gomez.
               Ricardo is the principal horticulturist with
          Cooperative State Research Education and
          Extension Service, USDA.
               Is that Washington, I take it?
               DR. GOMEZ:  Yes.
               MS. ISAACS:  Washington, D. C.
               Okay.  So he's going to discuss the role of
          USDA.
               DR. GOMEZ:  Thank you.  Before I start on
          the role of USDA, which is somewhat complex, I
          wanted to thank Clayton.  I think his offering
          this facility to us has been fantastic.
               Clayton and I, by the way, went to school --
          talking about a communications -- went to school
          at the University of Florida in the late '60s,
          '68, nine and so on.  Both in the same department
          of fruit crops, and we didn't know each other.
                                                        122
          But I had talked to Clayton about six, seven
          years ago, Clayton?  So we sort of know each
          other a little bit.  But thanks.  The facility's
          great.
               The role of USDA.  We are an extremely
          complex department; we have several roles.  We
          have regulatory roles, outreach, and education
          roles.  And in this initiative, I think we can
          take advantage of all those three roles that the
          department offers.
               As you all know -- or if you don't, I'll
          tell you -- there are some regulatory agencies
          within the department.  The Food Safety
          Inspection Service is that which is responsible
          for meat and poultry inspections in the U.S. and
          foreign lands.
               The Animal and Plant Health Inspection
          Service is also one that has point of entry
          responsibilities to keep agriculture safe,
          American agriculture safe from foreign pests.
          These two agencies can really be a lot of help in
          having also outreach capabilities in those
          foreign areas, as well as within the U.S.
               The foreign agricultural service, through
          its international cooperation and development
                                                        123
          activities and the scientific exchange programs
          also has a major role that it can play in here.
               But getting closer to the initiative itself
          is the national agricultural statistical service
          which has working relationships with the
          departments of agriculture in all -- in all of
          the 50 states working with the State Agricultural
          Statistical Services.
               And they're the ones that survey -- do
          surveys on our farms -- statistical and valid
          surveys, by the way -- to get information on
          crops, pesticides and so on.  And I think we've
          been talking to them in this initiative about
          trying to include, as part of their surveys, some
          questions that may be applicable to this
          initiative so that we get some valid feedback
          from them.  So that's one agency that we are
          dealing with as a part of this initiative.
               There's two or three other agencies, the
          Agricultural Research Service, which is the
          intramural research agency of the department.
          And this agency serves the -- both the regulatory
          agencies as part of the research programs and
          other agricultural research of probably more
          basic type than the other agency which I belong,
                                                        124
          which is the Cooperative State Research Education
          and Extension Service.  That one is really the
          federal department.
               And here's the first time I'm using the word
          partner; it's a federal partner of the
          Agricultural Extension Service and the
          Agricultural Experiment Station System.
               So our agency and ARS are those that do the
          research.  And we will be, as we identify some
          knowledge gaps -- and these are not good
          agricultural practice; holes in our knowledge --
          that we will be putting into motion some
          research.
               And as was stated before, I think Richard
          said that we're not -- we do not have monies in
          the FY98 budget for this, but there are some
          funds that have been requested for the fiscal
          year '99 and beyond.  So there may be some monies
          available to do some research on specific aspects
          of this initiative later on.
               One other agency, as well as ours that has
          routes or branches down to the local level is the
          Natural Resources and Conservation Service.  The
          Extension System and NRCS, as well as the
          partners in the Soil and Water Conservation
                                                        125
          District, really touch the producer, him or
          herself.  And those are the agencies that will
          really be involved in the outreach and
          educational programs through this initiative for
          the Department of Agriculture.
               I think that partnership that we have with
          NRCS, with ARS, with our local Extension System,
          is really the foundation that this initiative
          needs to look at to go forward and be functional.
               As has been stated before by many of you,
          the initiative needs to be based on good science,
          but we don't have all the science.  We need to
          identify those gaps, those knowledge holes, and
          start working on them very quickly.
               I know ARS has already made some changes in
          funding directions and they are working, or
          starting to gear up to work on some of the
          composting questions that have arisen within this
          short period of time that we have been working
          on.
               So there are possibilities, not only of
          additional funding, but also of redirection.
          Redirection is good and it works in a straight
          line agency.  And that's another point that I
          want to stress to you, is that both the
                                                        126
          Experiment Station System and the Extension
          System are partners with my agency, but we're not
          a straight line agency.  God forbid me if I tell
          Clayton, as a federal guy, to do something
          because I fear what he's going to tell me back;
          really fear it.
               So we have a good relationship, but we are
          partners.  As a matter of fact, the federal
          branch is a minor partner in the Extension
          System.  We only fund about 30 percent of the
          whole extension deal, whereas the state and local
          levels fund the rest.  So we are a minor partner,
          but we can be -- we can be very successful,
          especially if there's some additional money.
               So let me give you an example or two of some
          of the other -- some of the things that we have
          done as partners.
               We have a program that is called the
          Pharmacist Program, which was borne by the
          federal agencies, NRCS and CSREES, working with
          the land grant institutions to develop a
          management tool for producers mainly to do with
          the environmental consequences of agricultural
          practices, but looking at it from an economic
          point of view.
                                                        127
               And I think I need to stress the point,
          economic point of view.  If an initiative is
          going to work, it needs to be based on sound
          economics; nobody should really take a bath
          trying to follow any of these guidance documents.
               We need to develop the guidance documents
          with common sense, based on science, and based on
          economic reality.
               The Pharmacist Program has been very
          successful, and Michigan State University and
          several other institutions are already working to
          incorporate into that pharmacist -- which is a
          computer driven program, but nonetheless, it's a
          good program -- they're starting to put in some
          of these food safety and quality aspects into
          that.
               But it still leaves the ultimate decision in
          the hands of the producer.  It does not take away
          the management aptitudes.
               Another program in which NRCS and Extension
          have been working very closely in is the water
          quality.  And we have, in each and every state,
          just about, some water -- water shed management
          projects that have shown us some of the real
          practices that will deter runoff, that will deter
                                                        128
          pesticide contamination of waters and so on.  And
          I think these two models -- and there are many
          others, by the way -- but these two models are
          based on science, they are based on common sense,
          and they are not pushing the economic picture out
          of the way.
               They are based on economics; on good
          economics, so there's some profit still available
          to the producer.
               It is also a voluntary type program at this
          point in time, even though some of the farm
          management plans that NRCS has responsibilities
          for require certain management tools or practices
          incorporated.  But it's still a -- they're still
          voluntary, if you participate in a USDA farm
          program, then you have to have a management plan.
               The voluntary aspect, the good science and
          so on, are what make these type of programs work.
          We do not take the producer and make him a slave.
          We let him or her manage that production
          facility.
               We also have, in the CSREES, in my agency,
          other programs that really need, and could be
          very useful to this initiative, and we're
          bringing all these things in.  Even though today
                                                        129
          it may not appear the USDA has a vital role in
          this initiative, we do.  Believe it.
               And as the guidance documents continue to
          develop, we will have more.  You need to remember
          that FDA is not a non-agricultural based agency,
          whereas the USDA is an agricultural based agency.
          So we need to be complementary.
               But other programs in which my agency can
          help with are the Expanded Food and Nutrition
          Program, which also addresses the consumer issues
          associated with this initiative.  And there are
          some.  It's not only the responsibility of the
          producer to manage the output of fresh fruits and
          vegetables to be -- to increase the microbial
          contamination; it's throughout the food chain up
          to the consumer.
               That's the responsibility of us as people,
          as consumers, also.  We have that.  We are also
          involved, and the department is greatly involved,
          in the food stamp program.  These are all
          vehicles that we can use to help not only educate
          the producer, but all of us that do consume.
               And before I end my points, I do want to
          remind you -- and I think it has been said
          before -- that there's probably -- there is more
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          risk to your health of not consuming fresh fruits
          and produce and vegetables than there is of
          consuming some that are contaminated.
               So keep on eating your veggies and your
          fruits, fresh veggies and fruits, do that.  It's
          healthy.  Very healthy.
               Thank you.
               MS. ISAACS:  Are there any questions for
          Dr. Gomez?
               MS. TRUNK:  I'm Maria Trunk (phonetic) from
          the Tropical Fruit Island, a grower, shipper,
          packer in Homestead.  We are also importers of
          tropical fruits and vegetables from the Carribean
          and Central and South America.
               I have two questions.  Just drawing on my
          experience in working with plant quarantine
          issues, I've seen that a pattern of APHIS and ARS
          working very closely together to quantify pest
          risks from produce from other countries and then
          developing treatments or practices which
          adequately address those risks.
               Is this the kind of research that you would
          envision, this kind of risk assessment would be
          done in this -- in this case?
               DR. GOMEZ:  I really don't know at this
                                                        131
          point.  I think there must be a risk assessment
          type avenue in there, yeah.
               DR. TROXELL:  Let me just comment that --
          and, obviously, this initiative is focusing
          totally on microbes, not other aspects.
               Microbiological quantitative risk assessment
          is pretty much in its infancy.  There are very
          few quantitative risk assessments actually
          ongoing, and one that I'm aware of is for -- for
          eggs from farm to table that the USDA is doing.
               This is a developing field, and it will be
          applied as it develops.  There are qualitative
          risk assessments that are done all the time and
          that have been done for years in food programs.
               So we do not -- do not really have the
          complete tools to be able to do quantitative risk
          assessments at this time for microbiology
          problems.
               MS. ISAACS:  Can you all hear in the back?
               Perhaps you weren't close enough.
               MS. TRUNK:  Okay.  I'll ask my second
          question, then.
               I guess I'm just a little bit unclear on how
          this all fits together, but we saw at the
          beginning of the presentation a time table that
                                                        132
          called for a final guide to be issued in the
          summer of '98, and yet we're hearing that maybe
          research funds won't be available until fiscal
          '99.  How does this all fit together?
               DR. TROXELL:  This does not anticipate
          complete answers on all the science.  That's why
          the document will be using a lot of relative
          terms; it's better to compost longer than shorter
          and, you know, not specific times and so on.
               We need a lot of research to be able to
          pinpoint all the answers.  Once those answers are
          pinpointed, then there could be much more, you
          know, very, very concrete advice.
               But at this point, the information isn't
          available, and as it becomes available, guidance
          will be revised and practices -- recommended
          practices will be changed.
               DR. GOMEZ:  I want to tell you a little
          story to Brooks here.
               I was involved in the ethylene dibromide
          problem when mangoes from Santo Domingo or Haiti
          were starting to be brought in, and there was a
          tremendous panic.
               But through working with ARS, with the
          Experiment Station System also, and with APHIS
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          hand in hand as partners, that problem was
          resolved.
               So there are opportunities for this in the
          future and I hope they will be resolved, as well,
          working as partners.  Not one agency can do it
          all by itself, but working together, we can solve
          some of these problems.
               MS. ISAACS:  Anyone else?
               DR. BEASLEY:  In two of the documents you
          passed out this morning --
               MS. ISAACS:  Could we have your name,
          please?
               DR. BEASLEY:  I'm sorry.  Larry Beasely with
          A. Duda & Sons again.  And I'll try not to be as
          emotional as I was earlier in the day.  I get
          frustrated from time to time.
               It says in here that 9,000 deaths are
          directly linked to food-borne pathogens and
          that's in two different places in that handout.
          Not the one that you prepared, but handouts we
          were given outside here.
               How many of those 9,000 deaths are due to
          pathogens found on fresh fruit and vegetables?
          Anybody?
               DR. TROXELL:  I don't think we have an
                                                        134
          answer to that.
               DR. BEASLEY:  Then we don't know what the
          risk is, do we?
               DR. TROXELL:  Well, the percentage of the
          outbreaks associated -- and cases of illness
          associated with produce has gone up.  It had been
          fairly minimal.  It's now up to, I believe, five-
          eighths to eight percent of the total outbreaks
          and illnesses.
               The known cases are generally considered the
          tip of the iceberg because the monitoring systems
          do not allow you to really understand the full
          magnitude.  And there have been estimates that,
          based on what's -- what your known illnesses are,
          the actual illnesses are 50 to a hundred times
          larger.
               DR. BEASLEY:  Well, you state in here, six
          and a half to 33 million illnesses.  And I'm only
          directing this to deaths.
               And what I'm asking -- my question is:  How
          many of those deaths are related to fresh fruit
          and vegetable; not eggs, not meat, not something
          cross-contaminated by meat; something that you
          directly trace back to fresh fruit and
          vegetables?
                                                        135
               MR. BARNES:  I --
               DR. BEASLEY:  Not the processed vegetables,
          but --
               MR. BARNES:  And I don't know that -- I
          don't have any of that data here.  I don't know
          if that data's available, because normally it's
          traced back to an organism.  And I'm just looking
          at the list of Salmonella, E. Coli 0157, Listeria
          monocytogenes, which all have been found in fresh
          fruits and vegetables, which can be very serious,
          even life threatening to high risk possible
          populations, regardless of the vehicle.
               And those numbers are -- where the deaths
          come from are the numbers people have died from
          specific organisms, not necessarily from a
          specific outbreak that -- I mean, I don't have
          that data here.  It may be somewhere.
               The Center for Disease Control and
          Prevention may have -- maybe it will link it
          directly from the organism back to the product
          and be able to tell you that, but I don't have
          that data.
               DR. BEASLEY:  Could someone from this august
          group get some information like that back to us
          to so that we know what the risk is?
                                                        136
               MR. VANDERVEEN:  What we can give you is the
          work of the subcommittee -- produce subcommittee
          of the advisory committee on microbiological
          quality of food in which they have listed from
          the literature those cases associated with
          produce outbreaks, and we will -- we will provide
          you that.
               DR. BEASLEY:  Thank you, sir.
               MS. ISAACS:  Okay.  Moving right along.
               We are into the industry group presentations
          ahead of time.  Thank you everyone.
               And at this time, I would really like to
          thank Dr. Stacey Zawel, she's the Director of
          Scientific and Regulatory Affairs with United
          Fruit & Vegetable Association based out of
          Alexandria.  And she and Michael Stuart with the
          Florida Fruit and Vegetable Association in
          Orlando, were able to arrange some member
          speakers to start off the industry segment.
               So we really -- and the tremendous job they
          did in publicizing this event in a very short
          turn-around and getting the draft out to their
          members.  We appreciate it so much.
               So Stacey, did you want to say a few words?
               DR. ZAWEL:  Thanks, Lynn.  I just want to
                                                        137
          say very few words, actually.
               What United has done in this process is
          tried to take advantage of these meetings and
          capitalize on them, Michigan, New York as well as
          the rest of them all along the road, to put
          together a number of industry experts to convey
          and to represent numerous commodities, why
          certain practices are followed, to demonstrate
          the diversity and complexity of the industry, as
          well as conveying what's practical and reasonable
          for the industry to do, and demonstrate that, in
          fact, the industry takes the issue of food safety
          extremely seriously.
               In Florida, we have, in all cases, rely
          very, very heavily on the local associations,
          regional associations to identify the appropriate
          people and, therefore, I want to thank Mike
          Stuart, the President of the Florida Fruit &
          Vegetable Association, and the rest of the
          association in the effort that they have put
          forward to identify the appropriate people in
          Florida.
               With that, Mike.
               MS. ISAACS:  Mike, would you mind coming --
          I think it works out a lot better if you're not
                                                        138
          shy and don't mind coming up to the front podium.
          It makes it a lot easier as far as transcription,
          and easier for all of us to see you and hear you.
               MR. STUART:  Thank you, Lynn.  And I too
          want to thank Dr. Zawel for all of her efforts in
          coordinating the industry's examination and
          responsive participation in this whole effort.
               This is, as I think we've all discussed here
          today, with the complexity of this industry, it's
          very difficult to bring an industry together from
          various sections of the country and throughout
          North America, for that matter, what they've been
          involved with here, try and play a good, strong,
          constructive role in this process.
               Again, my name is Mike Stuart.  I'm the
          president of Florida Fruit & Vegetable
          Association, and we're an organization represents
          vegetable, citrus, tropical fruit and producers
          of other agricultural products in the state.
               As has been mentioned here -- I know
          Dr. Roberts mentioned it this morning and others
          have as well -- we have a very diverse and
          complex industry here in the state.  The fruit
          and vegetable sector represents about 50 percent
          of the entire industry.  It's about $3 billion
                                                        139
          worth of farm gate value on an annual basis.  We
          lead the nation, I believe, in some 14 different
          fruit and vegetable crops including citrus,
          tomatoes, green peppers and others.
               I think, again -- and I hate to reiterate
          something that's been mentioned by people
          earlier, but eating a diet rich in fruits and
          vegetables is extremely important to the health
          of all Americans.
               And along those lines, for several years,
          FFVA along with a partnership of literally
          hundreds of different organizations and companies
          around the country, has been actively involved in
          promoting that message of eating five servings of
          fruits and vegetables a day in partnership with
          federal agencies like the National Cancer
          Institute.
               I am happy to say that we are making, I
          think, some excellent progress in that goal.
          When we started out in 1989, 1990, consumption
          was at about three to three and a half servings
          per day.  We're looking for some data to come
          out, hopefully, earlier next year that will show
          us somewhere between four and four and a half
          servings of fruits and vegetables a day for the
                                                        140
          American population.
               So we are making some progress.  And I think
          it's important, as we move through this process,
          to ensure that we're doing something that will
          encourage people to eat more fruits and
          vegetables and not frighten them away from eating
          those very important products.
               We do believe that our industry, and in our
          membership in particular, produces a very safe
          and wholesome product throughout Florida.  We
          comply with literally a myriad of state, federal,
          and local regulations, many of which have to do
          with providing a sanitary and healthful product
          to consumers.  But along those lines, we do
          obviously support science-based efforts to
          further enhance the wholesomeness of fruits and
          vegetables consumed here in Florida throughout
          the United States.
               As an industry, we recognize that the
          incidence of food-borne illness attributed to
          fresh produce has increased over the past ten
          years.  Unfortunately, other than the
          epidemiological studies that have been conducted
          with each reported illness that we've had during
          that time, there's really been insufficient
                                                        141
          research conducted to determine the source and
          cause of many of these outbreaks.
               We have, however, particularly over the last
          few years, I think, approached this whole issue
          in a very proactive manner.  Last year, we began
          a process within our own organization to assist
          our members in the identification and mitigation
          of potential sources of microbial contamination
          of fruits and vegetables.
               Our growers' check list for microbial safety
          on such produce was developed and designed under
          the simple premise that consumers deserve the
          ability to purchase produce that has been
          produced, distributed, and marketed in a manner
          which minimizes the risk of food-borne illness.
               Another key premise of the document,
          however, was the fact that crops such as fresh
          fruits and vegetables which are produced in a
          natural environment cannot be expected to be
          completely free of microbial agents.
               Here just recently, the National Advisory
          Committee on microbial criteria for foods, which
          was just mentioned here just a minute ago,
          reinforced that reality in a white paper that was
          produced here, I believe, the week before last,
                                                        142
          which stated, and I quote:  "The focus of
          activities must be realistically directed towards
          risk reduction and not elimination."
               I need to also point out several other
          industry initiatives have also been undertaken in
          the whole area of microbial safety.  FFVA worked
          closely with Dr. Zawel and the United Fresh Fruit
          & Vegetable Association as well as 18 other fruit
          and vegetable -- primarily producer organizations
          from around the United States and throughout
          North America, for that matter, in the
          development of industry-wide guidance to minimize
          microbiological food safety risks for produce,
          which also focuses on risk identification and
          mitigation at the grower, shipper, handler level.
               Additional efforts have also taken place on
          the West Coast with Western Growers Association
          in cooperation with the International Fresh & Cut
          Produce Association.  I know the Florida
          Department of Citrus and several other
          organizations around the country have also taken
          a proactive effort in addressing these issues and
          providing industry guidance back to the industry.
               I think it's important, though, to point out
          that in each of these cases, these efforts have
                                                        143
          taken several months, if not years, to develop
          among people who are intimately knowledgeable and
          versed in the application and production of
          different cultural practices within the industry.
               We also have worked closely with the Fresh
          Produce Subcommittee of the National Advisory
          Committee to identify these risks as well.  We,
          along with United Fresh Fruit & Vegetable, hosted
          the Fresh Produce Subcommittee down here in
          Florida a year ago -- actually, it will be two
          years this coming January, to go out literally
          and spend some time in the fields and the groves
          and the packing houses so they could get a
          firsthand view of what's going on here in Florida
          so that they have a good, sound basis for making
          the recommendations.
               Unfortunately, we still have many unanswered
          questions regarding the introduction and
          transmission of food-borne pathogens and fresh
          produce and that was an assessment that was drawn
          by the subcommittee, and we strongly agree with
          that assessment.
               We appreciate that the agents' draft
          guidance to minimize microbial food safety
          hazards for fresh fruits and vegetables has been
                                                        144
          developed as guidance as opposed to regulation;
          we think that is obviously very positive for the
          industry.  But as has also been mentioned here,
          and I need to reiterate that, you need to
          recognize that, although the federal government
          has taken great pains, I believe, to try and
          ensure all of us that this is, in fact, guidance,
          I think its application in the marketplace needs
          to be closely examined.  And although you do
          consider it guidance, I think, as we move down
          the road here, the buying end of our industry may
          dictate otherwise.
               The draft document has also been put
          together in the two months since the announcement
          of the President's Initiative, and we are very
          concerned, quite frankly, with the speed in which
          this train is moving down the track.
               Again, the produce industry is highly
          complex and diverse and what may be applicable to
          one commodity may not be applicable to another,
          or what may be applicable to one producing area
          certainly may not be applicable to another.  That
          is accurate, I think, here in Florida as well as
          throughout the country.
               It is essential that the complex and diverse
                                                        145
          nature of our industry be taken into account.
          And this -- we've heard, I think, this time and
          time again today, and I think you'll hear it more
          as other industry people get up to speak.  We
          seriously doubt that this agency can really
          accurately put together this kind of document in
          the type of short time period that you've
          described here today.
               Any guidance also must have a strong
          scientific basis.  It's clearly been identified
          by the Fresh Produce Subcommittee that more
          research needs to be conducted on how, when, and
          where this contamination occurs.  It needs to be
          addressed, though, not just at the production
          level, but throughout the distribution chain all
          the way to the table.
               Contamination can occur anywhere in the
          chain, and it's been well documented in recent
          years, particularly by public health officials,
          that much of the contamination occurs at food
          preparation sites, whether in food preparation at
          restaurants or particularly in the home.
               While it's been shown to be incidents of
          food-borne illnesses associated with fresh
          produce have increased in recent years, it's
                                                        146
          important, however, to put the relatively few
          incidents involving fruits and vegetables into
          context with the one billion servings of fruits
          and vegetables that are consumed by Americans
          every single day.  It should also be pointed out
          that not only has consumption of produce
          increased during that time, but more importantly,
          the amount of fruits and vegetables imported in
          the United States has risen dramatically during
          that time as well.
               According to federal statistics, the amount
          of imported fruits and vegetables consumed in the
          United States has basically doubled in the past
          ten years.  Meanwhile, it's also been reported
          that FDA testing of imports has declined.
               Although the initial thrust of the
          President's Initiative seems to be focused on
          imported foods, the domestic industry now seems
          to be the focus of this initiative and this
          guidance effort.  It's important the focus of
          this effort be directed on those countries where
          the sources of these food-borne illnesses are
          commonly found or endemic.
               We also believe that a key element in the
          President's Initiative should be to provide
                                                        147
          consumers with information on the country of
          origin of the produce they buy at the
          supermarket.  If you visit any Florida store,
          grocery store, you would find country of origin
          labeling in each of the bins where those products
          are located.  Florida and Maine, to date, are the
          only states in this country that require country
          of origin labeling.  Consumers have told us time
          and time again in research studies that they want
          that information.  We agree that they should have
          it.
               We encourage and we urge the FDA and the
          USDA to move forward cautiously and slowly with
          this initiative, taking into account the
          implications not only on the production of fruits
          and vegetables, but what implication it might
          have on the marketplace itself.  Any guidance
          should be based solely on documented risk and
          science-based solutions.  There is no need to
          move at the current rapid pace.
               Those involved in the development of the
          document need to fully understand current
          industry practices, as well as the myriad of
          state laws and regulations that impact this
          industry.  This means more structured industry
                                                        148
          input as well as getting all of you out into the
          field, out into the groves and packing houses to
          see firsthand how our industry operates.
               Again, we appreciate the opportunity to
          appear before you today.  We thank you very much
          for providing all of us the opportunity to
          participate in this particular session.  We do
          urge you to get the industry more involved on a
          daily basis with this effort.
               We have a number of industry people here
          that will speak either representing a different
          grower organization or individual representatives
          themselves over the next hour or so.  So we look
          forward to hearing their input.
               And, again, I thank you very much from all
          of us.
               MS. ISAACS:  Thank you, Mike.
               I might add, Mike, that a couple of us
          dietitians here today -- Judy, do you want to
          raise your hand -- serve as very active members
          of the Florida-based partnerships and we do have
          most of our meetings at your office, of course.
               Okay.  Next, we'll have Mr. Bobby McKown.
          Did I get your name right?
               MR. McKOWN:  That's correct.
                                                        149
               MS. ISAACS:  He's with Florida Citrus Mutual
          out of Lakeland, Florida.
               MR. McKOWN:  Good afternoon, and welcome to
          each of you and thank you for the agencies and
          the representatives here today coming down to
          allow the opportunity for the various interests
          in Florida to give their viewpoint relative to
          the issue at hand.
               My name is Bobby F. McKown, I'm executive
          vice president and CEO of Florida Citrus Mutual.
          Florida Citrus Mutual is a voluntary cooperative
          association whose active membership consists of
          11,676 citrus growers operating within the State
          of Florida.
               The comments we're offering you today, we
          offer those, we believe that they are factual and
          we bring some points to you that we think you
          should give serious consideration as you do the
          further deliberation relative to the proposal at
          hand.
               Florida Citrus Mutual generally supports
          existing federal and state initiatives geared
          toward increasing assurances of fruits and
          vegetables whether produced domestically or
          imported are safe.  Florida Citrus Mutual has a
                                                        150
          long history of working very closely with the
          Food and Drug Administration, the U.S. Department
          of Agriculture, IFAS, the Florida Department of
          Agriculture, the Florida Department of
          Environmental Protection, the United States
          Department of Environmental Protection, all to
          make sure that we have the world's safest and
          most abundant supply of affordable foods and
          particular with citrus and processed citrus
          products.
               Citrus Mutual endorses the comments of
          Florida Citrus Packers, which you will hear
          today, the Florida Department of Citrus, the
          Florida Department of Agricultural Consumer
          Services, and the Florida Institute of Food and
          Agricultural Sciences.
               Fresh Florida citrus is highly regarded
          throughout the world as a safe and reliable
          source of nutrition and plays a vital role in the
          health and the well-being of many of the less
          privileged countries and nations throughout this
          world.
               Florida citrus growers are rightfully proud
          of their heritage, of global food and safety
          records.  And that is a strong testimony for
                                                        151
          their diligent efforts to continue in that
          tradition.  Never in the history of the Florida
          citrus industry -- and I repeat again -- never in
          the history of the Florida citrus industry, has
          there been a case of food-borne illness as a
          result of the consumption of fresh Florida
          citrus.
                And as an aside, we spend -- the growers
          are assessed in excess of $12 million a year in
          order to provide continuous inspection at the
          receiving points, at the processing plants, at
          the packing houses, and all the way through the
          finished product that is shipped then to the
          consumers of these United States and throughout
          the world.  $12 million of continuous USDA
          inspection.  And I say to you that we have that
          total safety net in place and we support that
          proposition.
               Nevertheless, Florida Citrus Mutual strongly
          supports continuous inspection for all fresh and
          processed citrus, domestic, as well as imported.
          Frankly, that's not the case relative to imported
          products coming into this country whether it be
          processed or fresh.
               Florida Citrus Mutual further believes that
                                                        152
          vigilance is the key to maintaining the best
          reputation for safety among our global trading
          partners and stands ready to cooperate with state
          and federal efforts to ensure global food safety
          for all nations.
               And we strongly urge that any guidance
          recommendations be based solely upon the most
          sound science.  And if you do not have the
          science, that you don't rush to judgment to make
          that decision prior to having that science when
          there's no proven problem and the best available
          information about the growing, the harvesting,
          the handling, the processing, and packaging of
          any fruits and vegetables foreign or domestic.
               In this regard, while many of the
          recommendations provided in the current guidance
          document are well-recognized industry practices,
          certain others are rather inappropriate for the
          following reasons:
               Number one, as stated earlier, the naturally
          protective peeling on fresh citrus, coupled with
          current well-recognized industry practices aimed
          at sanitary growing, handling, and packaging have
          established the highest degree of food safety and
          set the standards in the world marketplace.
                                                        153
               Two, in the production stages of citrus,
          there is very little likelihood of contamination
          from irrigation water because the industry
          standards of low volume under-tree microjet
          systems direct their spray away from the fruit
          and toward the surface of the root zone.  These
          systems routinely require ozonation or
          chlorination to prevent clogging.
               Furthermore, irrigation is only done on an
          as-needed basis, carefully monitored by state and
          local agencies, and growers are required to
          identify their sources of irrigation water and
          carefully monitor both quantity and quality of
          withdrawals as well as discharges.  Any existing
          very small overhead irrigation is rapidly being
          phased out of our industry, in fact, it is almost
          non-existent today.
               Any irrigation utilizing reclaimed water is
          carefully monitored for quality control by
          suppliers and must meet stringent state and
          federal guidelines.  Further periodic testing of
          water sources for microbial contamination in the
          field is unwarranted, time consuming, and
          expensive.
               Florida citrus growers in certain areas of
                                                        154
          the state rely heavily on surface water from
          reservoirs, rivers, and stormwater retention
          basins for their irrigation needs, and these
          sources have been carefully monitored by the
          state water management districts, under the
          careful and watchful eye of the Department of
          Environmental Protection to ensure the continued
          safe use of these sources.  These state agencies
          have carefully undertaken massive efforts to
          significantly enhance water quality in every
          single one of these systems.
               The guidance documents suggest consideration
          be given to total protection for open water
          bodies.  But this is impractical and unwarranted,
          in our opinion.  Florida has established a
          classification system for surface and subsurface
          water bodies and a vast, oftentimes redundant,
          network of regulations serving to protect and
          enhance water quality.
               This has served as a model for many other
          states throughout these United States.  And, in
          fact, Florida was the lead state that moved in
          the development of water standards at which we
          operate today.
               Whereas the guidance documents suggest
                                                        155
          consideration be given in the decisions being
          made with regard to adjacent land use
          compatibility, the recommendation has merit where
          feasible.  Florida's rapid population growth has
          taxed existing conditions that safe potable water
          and pressure has come to bear on growers in some
          areas to accept the lowest quality of water
          available for irrigation purposes.
               Florida Citrus Mutual has played a key role
          in the development of rules and regulations to
          protect the integrity of the excellent reputation
          of the industry by requiring careful monitoring
          of treatment and delivery processes of reclaimed
          water whenever state agencies has encouraged or
          required its use.
               In addition, we played a key role in the
          development of state and federal guidelines for
          sludge application for citrus and in the
          application of groves throughout the State of
          Florida where used.
               Although the practice is very limited, we
          believe that key safety measures have been
          adopted to control application quantity and
          quality.  We further believe that efforts within
          the citrus industry to regulate worker activities
                                                        156
          in the grove aimed at safeguarding against
          pathogenic contamination of citrus would be
          unwarranted and misdirected.  Worker activities
          in the grove are not entirely controllable and
          workers are sensitive to their privacy rights.
          And I can assure you that that is a very key
          element that is a management decision in working
          with employees today; you, too, must be very
          cognitive of their privacy rights.
               Education is the best method to address the
          possibility of any contamination of packed and
          processed fruits and vegetables.  Efforts in this
          respect are strongly supported by the state trade
          associations, IFAS, universities, the Department
          of Citrus, Florida Department of Agriculture,
          USDA and others.
               In conclusion, I would say to the panel and
          those in the audience today, Florida Citrus
          Mutual firmly believes a threat of contamination
          of microbial hazard should be addressed for
          continued rigorous inspection efforts of all
          fresh and processed citrus at packing and
          processing plants and at port of entry.
               As a practical matter, so much has been done
          up to this point to ensure food safety and
                                                        157
          production agriculture that the most likely
          causes of contamination would be in open air
          marketplaces, improperly protected displays at
          retail locations, and failure on the part of
          consumers to exercise best judgment in the
          handling, storage, and preparation of the
          produce.
               All the best efforts of the growers must be
          complemented by the best efforts of wholesalers,
          retailers, consumers, and Florida Citrus Mutual
          applauds the effort of federal and state agencies
          to ensure that growers' efforts are not in vain.
               Because, frankly, we are doing those things
          today to make sure that the product we delivered
          wholesale into the distribution channel trade
          within this country and other countries, that we
          meet the very high standards.  Because the basic
          premise of advertising and promoting Florida
          citrus of which the growers assess themselves
          approximately $80 billion a year to promote our
          product, is the one hundred percent purity of our
          product.
               And I can assure you that we have a greater
          desire to find and know the problem long before
          an agency of the government's going to tell us,
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          because that's the number one item that we
          protect, and that's the purity of our product and
          the wholesomeness it represents in the
          marketplace.
               So in closing, Florida Citrus Mutual
          supports continuous inspection of all fresh and
          processed citrus, foreign and domestic, as well
          as all efforts aimed at the most likely sources
          of contamination as identified by sound
          scientific evidence, and the most sufficient
          means of controlling, including increased
          consumer awareness and education is our belief
          that that's what the major goal must be of any
          actions undertaken.
               So I thank you for allowing me the
          opportunity to express these comments on behalf
          of Florida Citrus Mutual and its almost 12,000
          members, and we continue look forward to continue
          to work with you.
               Thank you.
               MS. ISAACS:  Thank you, Mr. McKown.
               Now we're going to hear from Dr. Chip
          Hinton.  He's with the Florida Strawberry Growers
          Association in Plant City, Florida.  And we
          always try to do food demos in cooperation with
                                                        159
          Extension Service at the Strawberry Festival.
          Wonder why.
               DR. HINTON:  When we put this program
          together, I'm sure it was more than coincidental
          that in order to demonstrate the diversity of our
          commodities, that we had citrus, which is our
          largest fruit, followed by strawberries, which
          has half the acres that they have members.
               I appreciate this opportunity to address the
          issue of microbial safety of our produce.  I also
          want to assure you that every agriculturist in
          this room supports your objective and is open to
          your suggestions on how we can do an even better
          job of assuring food safety for our consuming
          public.
               You must believe that our comments relative
          to process are not meant to be obstructionist,
          but are aimed at reaching our mutual objective as
          painlessly as possible.
               Let me tell you a little about Florida
          Strawberries.  As mentioned, we are located in
          the Plant City, Dover area.  We have the
          interesting dichotomy of being a small family
          operation; our median size farm is 19 acres, our
          average size farm is 34 acres.  Total plastic
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          culture, one hundred percent drip irrigation.
               At the same time, we're a $120 million
          industry and we employ over 9,000 workers, field
          level.  There's some advantages in having
          virtually 20 percent of the production of
          strawberries in a nation within a 20-mile radius.
          One of them is that we are not only a small
          family, but we're a large community.  And we work
          together and we can, in fact, get the entire
          community together under one roof in our
          educational process.
               I want you to know that the Florida
          strawberry industry has tried to be ahead of the
          curve on food safety.  Every year, we hold a two-
          day educational session; we've done this now for
          15 years, to address topics like field
          sanitation, in fact, that was the topic of our
          discussion this past summer, and that over
          80 percent of our growers attended that
          particular session.
               Food safety is a regular item on our grower
          newsletters, both through our Florida Strawberry
          Growers Association and through our sister
          organization, FFVA, and our entire membership is
          enrolled in FFVA.  We cooperated with voluntary
                                                        161
          industry-wide efforts to develop GMPs for field
          level protection of produce, as Mike mentioned.
               And we have an outstanding relationship and
          a mutual respect for both the Institute of Food
          and Agricultural Sciences, which co-sponsors our
          two-day session, and the Florida Department of
          Agricultural Services.  We view them both as
          willing cooperators and outstanding resources to
          solve problems.
               Within our system and our design, we
          recognize that with 9,000 workers, that's
          probably the most limiting practice that we have.
          Our production occurs within 20 miles of our --
          of a pre-cooler; harvests are immediately cooled
          and they are, in fact, kept refrigerated, 34
          degrees, as long as they are within our control.
               Our workers -- and I've been on virtually
          every farm that we have -- have a situation field
          sanitation that is regulated at the state level
          both in number of facilities and distance to
          facilities with potable water, hand-washing
          facilities and so forth.  We have incorporated,
          through our WPS program, an addition of field
          sanitary systems this past year, and so we are
          really doing everything we can short of holding
                                                        162
          people's hands to assure the necessity of good
          field sanitation.
               I think one of the things that you may not
          have been totally aware of until today was that
          agriculture is already pretty well regulated.
          The perception is there's very little regulation
          of agriculture at the field level.
               An extension agent in Hillsboro County once
          took a project of identifying agencies regulating
          agriculture and he provided a brief synopsis of
          the rules and permits required for each agency.
          The guide quickly grew to 1,080 pages.
               We developed a case study with use in
          farming for the future to determine the impact of
          regulations on agriculture, and we sent out a
          questionnaire to those regulatory agencies that
          would have impact upon an agricultural facility.
          We contacted 46 regulatory agencies.  Forty-six
          agencies.  Many with multiple permits, several
          duplication services with other agencies, and
          most not realizing how each related to the other
          agencies.
               Some of your guidance bullets address
          sources of irrigation water.  In West Central
          Florida, virtually all of our production is
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          within a water use caution area.  Both quantity
          and source are regulated and metered.  Switching
          and moving permits is closely monitored and
          extremely difficult.  As I mentioned, we're
          virtually a hundred percent drip irrigation.  So
          most of our production water is used -- is ground
          water.
               One of the things I'd like for you to
          understand in your development of your
          regulations is, when you develop BMPs, so many of
          them interrelate and overlay.  I'm going to give
          you a little anecdote, a true anecdote, that has
          occurred to us over the past several years.
               As I mentioned, we're a hundred percent drip
          irrigation.  There were a number of reasons why
          we made that conversion.  First of all, we
          determined that we could save roughly 40 percent
          of our water, and we were under some pressure to
          reduce water usage in our production of
          strawberries.
               One of the things we quickly discovered was
          that we would also be able to fertigate through
          the system which, in fact, reduced our fertilizer
          use by roughly 45 percent by putting the
          fertilizer right at the root zone.  That made not
                                                        164
          only the water quantity, but the water quality
          people happy.
               When you're putting water at the root zone,
          you don't get the plant wet, which reduced our
          incidence of disease.  As we mentioned, water is
          the carrier.  That reduced our pesticide use by
          15 to 20 percent.
               Now, when we had an increased harvest as a
          result of that -- we increased our harvest by
          25 percent as a result of that, and our
          marketable fruit, which made everything much more
          productive.
               So here we are, we've reduced water use by
          roughly 40 percent, fertility requirements 35 to
          40 percent, protected our water quality, reduced
          disease, increased marketable fruit by
          20 percent, and reducing our pesticide use by 15
          to 20 percent.
               Then in 1994, the month of February, we
          didn't get a drop of rain.  And Canada, which has
          an MRL of 20 percent of that of the U.S. on
          Captan, started rejecting our strawberries.  The
          problem was that with our dry plants and without
          overhead irrigation, we didn't have anything to
          rinse off the Captan in the process.
                                                        165
               Now we solved the immediate problem by
          cranking up our overhead irrigation, which
          removed about eight or nine percent of the
          residues, and we followed up with grower
          education programs and we haven't had a problem
          since.
               I mention that because that's the one
          incidence that we've had with FDA, and our one
          black eye of involvement in 1994.  And I'm
          bearing my soul just so that you understand that,
          number one, that when you have a best management
          practice, it's a moving target, and while we
          consider it to be moving in one direction, it
          moves both ways.
               When we use overhead irrigation to
          accomplish what I consider a trade issue more
          than a food safety issue, we will have to have
          more water than what we would need under drip
          irrigation.  This will affect our fertility, it
          will affect disease and everything else.  So when
          you make a regulation, when you make a
          recommendation, you need to understand that there
          may be unanticipated results.
               As an addendum to that anecdote, I would
          like to say that Martha put on another hat and
                                                        166
          she told us that in order to maintain her
          credibility -- and we encourage her to do so --
          that we would be under a lot of scrutiny the
          following year.  Every one of our growers was
          inspected the following year.  We had zero
          violations.
               I think that that probably is a testimony to
          the fact that we try to do what is best for our
          community.  BMPs are not isolated; they're
          convoluted, interrelated, and complex.  They may
          be influenced by other BMPs and missions, and
          sometimes diverse direction occurs when they are
          compromised by other competing missions.
               You need to know all the players, the other
          missions, and to minimize any anticipated
          negative results, you need to think ahead.  It's
          desirable to identify impacts before they become
          recommendations which may become regulations.
               You say that you're talking about
          recommendations and guidance, and I believe you.
          I think in my 25 years of similar jobs such as
          I'm working right now, I have found one thing to
          be true, and that is that once your
          recommendations are made, it's really out of your
          hands.  You don't have control if they become
                                                        167
          regulations by de facto or by outside influence.
               So if you cannot resolve the problem after
          it leaves your hands, your emphasis must be
          before it leaves your hands.  And you can
          accomplish a whole lot, first of all, by making
          sure that what you have is based on science,
          based on practical information and, for God's
          sake, not on giving us something to shoot for.
               I wish I had a nickel for every time a
          regulator said, this will not be binding, but we
          want to give you something five years down the
          road to shoot for.  Because no one can tell your
          business better than you, and no one can tell
          whether that target is a realistic target.
               You need to be aware of the tremendous
          diversity in production practices among the
          numerous commodities you are addressing.  It may
          be reasonable for my industry to trace back
          produce beyond the shipper, beyond the grower, to
          the individual worker in the field.  And we can
          do that; we can actually tell you what worker
          picked a flat of berries.  I say that because a
          lot of our people are doing it because we want to
          maintain our own quality control.
               But, secondly, you need to understand that
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          most of our berries are broken up somewhere
          before they get to the consumer, and we have no
          control over that.  The train of information is
          lost at that period.
               There was some discussion here relative to
          collateral damage.  The incidents that we have
          had recently relative to strawberries, incidents
          of cyclospora and E. Coli both occurred when we
          were not in production.  That's probably the only
          safe way to say that you can be assured that
          things could not be traced back to you; we were
          not producing at that time.
               And I can't speak for my friends in
          California, but I know them well, and I have been
          assured from some very reasonable sources that
          they were not the source of that problem as well.
               We lost some money as a result of that
          situation, even though we weren't in production,
          because people thought of strawberries in a
          different way than they had prior to that
          information.  I know for a fact that California
          lost over $40 million on the second incident
          alone, and they were not at fault.
               We have the same ultimate objective and that
          is public health.  Please move slowly and
                                                        169
          carefully and minimize the negative impacts on
          growers.
               A diet that is a cornucopia of fruits and
          vegetables is in the best interest of the
          consumer.  It's important that one of your
          unanticipated impacts not be the reduction of our
          domestic supply of fruits and vegetables.
               A reduction of supply of produce will
          influence the cost to the consumer, a reduction
          in domestic supply of produce will influence
          public health.
               Thank you.
               MS. ISAACS:  Thank you, Dr. Hinton.  Next
          we'll hear from Dr. Mohammed Ismail.  I hope I'm
          not fracturing your name.  Was I close?
               DR. ISMAIL:  Very good.
               MS. ISAACS:  What's the proper -- tell me
          what your pronunciation is.
               DR. ISMAIL:  It's pronounced in many
          different ways.
               MS. ISAACS:  All right.  I'll say Ismail
          then.  Okay?
               DR. ISMAIL:  Ismail.
               MS. ISAACS:  Ismail.  Dr. Ismail is with the
          Florida Department of Citrus out of Lake Alfred,
                                                        170
          Florida.
               DR. ISMAIL:  Thank you, Madam Chairman,
          distinguished members of the head table, ladies
          and gentlemen in the audience.
               It is true, my name is Mohamed Ismail.  I
          work for the Florida Department of Citrus and
          serve as the Scientific Research Director for
          fresh fruit.
               Our staff is located at the Citrus Research
          & Education Center at the University of Florida,
          Lake Alfred.  The Scientific Research Department
          was established in 1941 and, believe it or not,
          by an act of the Florida legislature, and we were
          moved to Lake Alfred about 50 years ago.
               I have a Ph.D. in horticulture and I
          specialize in post-harvest citrus technology,
          including packing house operations and quarantine
          treatments.
               The department staff includes engineers, a
          plant pathologist, plant physiologists, chemists,
          and food scientists and microbiologists.  The
          Florida Citrus Commission and the Florida
          Department of Citrus, as a unit, is a government
          agency established in 1935 by an act of the
          Florida legislature as a result of an industry
                                                        171
          request.
               The act called the Florida Citrus Code
          states -- and it is ironic in a way that how the
          words are put together -- that the commission,
          department was set up to protect and enhance the
          quality and reputation of Florida citrus fruit
          and processed citrus products in both domestic
          and foreign markets.
               It also acts to protect the health and
          welfare and stabilize and protect the citrus
          industry of the state which, in turn, helps
          promote the general welfare and social and
          political economy of the state.
               The Florida Citrus Commission, Department of
          Citrus is financed by an excise tax placed on
          each box of citrus moved through commercial
          channels.  The Florida Citrus Code stipulates the
          maximum tax and how funds generated are
          allocated.  The portion of that tax is deposited
          in the state's general revenue fund to offset
          administrative costs.
               We do support local, state, and federal
          efforts to enhance food safety and improve the
          quality of our food supply.  We also believe in
          the importance of a healthy diet, rich in fresh
                                                        172
          fruits and vegetables as part of a healthy
          lifestyle, and citrus does figure prominently in
          the diet as a good source of many vitamins and
          minerals.
               The edible portion of the fruit, of the
          citrus fruit, is naturally protected by the peel
          against microbial contaminants, and it is also
          further protected by a natural abundance of
          citric acid and other organic acids creating a
          low pH environment, ranging between 3.2 in
          grapefruit, to 4.0 in oranges, which can deter a
          large number of disease causing organisms.
               Nevertheless, we support the implementation
          of sanitary measures and guidelines which would
          strengthen and enhance the safety of fresh citrus
          and fresh citrus juice.
               As a state agency, the Florida Department of
          Citrus has placed a great deal of emphasis on
          education through publication of fact sheets,
          passive manuals and workshops.  We have just
          released two fact sheets on the microorganisms on
          food and beverage and on reducing the risk of
          microbial contamination of fresh citrus fruit.
               We also collaborated on preparation of a
          model of Hazard Analysis Critical Control Point
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          for the fresh squeezed juice industry.  And in
          1996 and 1997, we organized workshops on
          microbiologic safety of fresh-squeezed citrus
          juices.
               So we definitely place a great deal on the
          education side informing our constituents of the
          best science and the best research results and on
          the importance of education.
               We also have a very active research program
          as we are the scientific research department of
          the Florida Department of Citrus.  We conduct
          research on fresh fruit, on fresh-cut, and fresh-
          squeezed citrus juice.  Our research activities
          include challenge studies on peeled, fresh-cut
          oranges using Salmonella, E. Coli,
          staphylococcus, and Listeria.
               We are also studying microbial contamination
          of fresh citrus fruit and are developing physical
          and chemical methods for surface disinfection.
          Our research staff will continue to survey the
          microflora of citrus fruit in the grove, the
          packing house, and in fresh-squeezed juice
          plants.  We plan to also conduct challenge
          studies and develop effective preventative
          measures and food surface disinfection methods at
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          various points of production and packing and
          distribution.
               It is very important to recognize the
          potential for contamination of fresh fruit and
          vegetables that can occur in retail and wholesale
          outlets, and, indeed, in the hands of the
          consumer.  These are areas of utmost importance
          which needs to be studied in order to develop
          sound and objective protective sanitary measures
          and practices.  And these are areas that I do not
          see in the guidance document; what happens at
          retail, wholesale, and in the hands of the
          consumer.
               Florida produces approximately 250 million
          boxes, which is approximately 10.2 million metric
          tons, of oranges, and about 55 million boxes of
          grapefruit, which is approximately 2.2 million
          metric tons.  While only six percent of our
          oranges are shipped fresh, most of the
          tangerines, tangelos, and grapefruit are shipped
          fresh.  When recommending guidelines, we must not
          lose sight of the intended use of a given crop.
          An orange crop harvested for processing, which
          includes a potential kill step, can be handled in
          a manner different from oranges or other citrus
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          fruit picked for the fresh fruit market.
               The Florida fresh citrus packing industry
          benefits not only from the natural protection of
          a divinely designed fruit, a citrus fruit, but
          also from certain common practices in our groves
          and citrus packing house operations.
               Among these -- and I might be a little bit
          repetitious here -- the extensive use of under-
          tree irrigation, the microjet systems which
          minimizes exposure of fruit to irrigation water,
          fruit trenching at the packing house with
          chlorinated and ozonated water with automated
          control of pH and chlorine concentrations, the
          use of automated systems to clean and sanitize
          harvesting bins, also the increased use of
          plastic bins that minimize fruit damage and aid
          with bin cleanliness.  The use of sanitizers such
          as chlorine and quaternary ammonium, compounds to
          clean degreening and storage room and packing
          line equipment.  The increased use of high
          pressure washers to improve fruit cleanliness and
          the use of automated grading and packing systems
          to minimize human contact.  And, finally, the
          increased use of refrigerated storage and
          refrigerated transport.
                                                        176
               Finally, I would like to mention that each
          commodity is unique in the way it is grown,
          handled, shipped, and ultimately consumed.  To
          recommend implementation of one set of
          regulations to all fruits and vegetables, in our
          opinion, is inappropriate.
               Thank you.
               MS. ISAACS:  Thank you, Dr. Ismail.  And now
          we will hear from Dr. Larry Beasely, who I think
          we've already heard from earlier today, but maybe
          a little more extensively.
               Dr. Beasley is with A. Duda & Sons,
          Incorporated back in the Central Florida area
          from Oviedo, Florida.
               DR. BEASLEY:  Central Florida, South
          Florida, Texas, Arizona, and California.  And I
          get to visit all of those.  I haven't been home
          in two weeks, and I will get home next week,
          along about Wednesday.
               There's one thing I'd like to thank all of
          you for, and that means you in the group here, as
          well as the medical association and the
          universities.  During my lifetime, my life
          expectancy has increased by several years, and I
          found out this morning that it's due in part to
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          the consumption of fresh fruit and vegetables.
          plan on continuing to eat them.
               In addition to that, I'd like to also point
          out to you -- and I think the point's already
          been made, but I'd like to reiterate -- that
          first and foremost, as a producer of fresh fruit
          and vegetables, we have a responsibility to the
          consumer, and if we were to shirk that
          responsibility, we would quickly be out of
          business.  Food safety is first and foremost in
          our interest as businessmen.
               I think we have already implemented various
          and sundry things.  We developed a guidance
          document for the industry on our own and put our
          own efforts into doing that.  We have implemented
          those.  We have very, very diverse conditions
          under which we produce the fresh fruit and
          vegetables here in the United States.
               We have been talking about the possibility
          of drip irrigation, microjet irrigation, Chip
          talked about furrough or drip irrigation, citrus
          could be on seepage irrigation.
               In the vegetable community out here west of
          town, we literally manipulate the water table
          just by raising it to a level each crop needs.
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          The water doesn't go over the top of the crop; we
          put it in the root zone where it needs to be.
               Now, how do we do that?  We do that by
          raising our water table out of surface water
          canals.  And someone suggested that we perhaps
          cover that surface water canal?  I know I'm being
          facetious, but probably the pond that we're
          watering out of encompasses thousands and
          thousands of square miles of surface water.  It's
          impossible to do.
               I don't want to stand up here and pick apart
          your efforts, but I do want to encourage you that
          this is, as Chip pointed out, the most opportune
          moment that you're going to have to impact these
          guidance documents that will continue to affect
          us long after your names are forgotten.
               So please move forward slowly and consider
          very carefully the very diverse industry that
          you're impacting because we are regulated,
          whether it's by the government or whether it's by
          the buyer that I mentioned earlier this morning.
               And I'll go through a few of these.  On the
          irrigation water; this is one that causes me most
          concern.  Evaluation of the runoff.  Our water is
          runoff, all of it.  We gather that water and
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          reuse it, and have to by permit.  Tail water
          runoff is recirculated, it is open to the
          environment, which you might also consider is
          inhabited by endangered species, and they tend to
          like the farm; they don't like cities.  And we
          can't regulate where they're going to use the
          bathroom, whether they're aquatic or whether
          they're birds or whether they're mammals running
          around on the ground.  I can share your concern;
          I hope you can share my frustration.
               Spray water.  We may be seven miles from the
          closest utility line, so there's not a pump
          there.  We're pumping water right out of the
          canals, and that is a common operation.
               The reclaimed water that has been mentioned.
          The reclaimed water -- and I'm going to go ahead
          and talk about sludge, municipal sludge at the
          same time -- is very, very closely managed by
          other federal and state and local regulations,
          and if they aren't meeting their standards, our
          use of it is just improper, and it is used in
          certain small limited areas, but it is used.  So
          I don't want to downplay the idea that municipal
          sludge is used, or downplay that reclaimed water
          is used because it is, and will continue to be.
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          But it's under very close guidelines already.
               Processing water.  I found it very unique
          that you use potable water there -- use that
          term.  That sounds good and looks good on paper,
          but there may not be a source of potable water of
          sufficient quantity to do all the things that we
          do.  And I'm talking about everything from
          cleaning equipment to cleaning the packing house,
          washing the produce, as you intended it to mean,
          to irrigation, not to mention the makeup of water
          that we use for spraying.
               Wash water, the addition of sanitizers.  We
          already are doing that, but I'd like to
          perhaps -- it may be unnecessary, but to -- since
          I didn't see some of you on the field trip a year
          ago, two years ago this coming January, I'd like
          to educate you a little bit with regard to water
          and sanitation, because I think you're thinking
          about a packing house, and I'm thinking about the
          packing house may be the field.  The entire
          field.  How do I sanitize 40,000 acres?  That's
          just ours; not to mention my neighbor's.
               We use chlorine in the water that we wash
          the bugs off of the celery or the leaves as we
          cut it and pack it in the field.  That's one
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          method of packing those commodities.  They may be
          harvested in bulk and brought to a packing house
          and treated as you are probably thinking, at a
          packing house.  But I wouldn't say that the
          majority of the acreage in the United States
          comes to the packing house unpacked.
               So chlorination or addition of sanitizers is
          something that is done in a limited way.  It may
          not get washed at all.  How would you overcome
          the dilemma that I'm certain -- and I haven't
          seen a farm in about three weeks, at least not
          one that we have; I did try to take some
          vacation -- but we have we had three and a half
          inches of rain on the west coast yesterday and
          you talk to me about clean boxes and equipment?
          I'm certain it was fairly dirty, and I am certain
          that if we didn't get in a crop out of the field,
          it would be lost.
               We cannot assure pristine, clean operating
          conditions because we operate under God's
          environment, subject to everything that gets
          dumped on us.  And it could be muddy.  We clean
          the produce, we clean the equipment, and we
          provide clean boxes.
               Soil types can impact this tremendously.  If
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          you have sand, you can get it off relatively
          easy; if you have muck, you can get most of it
          off, but the residue looks worse when it's left
          on there because of the cold.  And if you have
          clay, God forbid, it sort of collects water.  So
          the more water you put on it, the muddier and
          messier it gets.  So I just want to caution you
          about some of this.
               The temperature differential.  If we
          increase the temperature, we will have more
          diseases on that produce by the time it gets to
          the consumer than we will if we chill it very
          quickly.  That is not practical.  It may be in
          the lab, but it is not in the real world.
               Worker training.  We have OSHA standards, we
          have worker protection standards, we provide hand
          washing facilities to them, we have -- we have
          the bathrooms in the field, we have training
          programs for hygiene, the smoking, the heating,
          the air, all of this, depending on where you work
          and what you do, we have training programs out
          there that are available.  And I'm not talking
          about A. Duda & Sons, they're available to all
          the growers that want to use it and want to go
          and train their people.  And I think the -- most
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          of us are implementing those ideas already.
               Maintenance and sanitation I just touched on
          a while ago.  I don't know how you keep
          everything pristine clean in a field condition.
               Animal control.  I would love to be able to
          get some of them out of there.  Deer eats the
          crop.  And a lot of others cause serious problems
          that I can't do.  But I am regulated by other
          government agencies that says leave them alone.
               And I want to point out also that I am
          disappointed that we have a guide to minimize
          microbial food safety hazards for fresh fruit and
          vegetables, it's open-ended.  Where did it begin
          and end?  It began out there when we prepared the
          land and it ended when we put it on the truck.
          That's all I have control over.
               But as I read the newspaper and as I listen
          to people who can talk about things that I don't
          know enough -- don't understand; I'm not an
          epidemiologist, I find a lot of it is traced back
          by scientists and experts in the field through
          epidemiology to cross-contamination, and I find
          that it happens somewhere other than the farm.
               I understand your concern; I understand you
          have to address the issues, but I don't see where
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          we've talked about trucking, I don't see where
          we've talked about warehousing, I don't see where
          we've talked about that grocery store chain or
          the consumer coming by, as someone said and I
          found amusing, fondling my produce.  God only
          knows whether they sneezed or went to the
          bathroom before they did it.
               Positive lot identification is something
          that's impossible.  It's a cost.  I hate to put
          it that way, but I would ask the buyer again,
          what are you going to pay me to put it on there?
          We operate maybe three to five percent return on
          our investment.  Most of you wouldn't invest your
          money in the stock market if that was all you
          were getting, or any kind of municipal funds or
          anything else.  You pull it out of CDs because
          you can't get any better than we farmers get, and
          I do the same thing.
               But when you pass this on to me, I can't
          pass it on to him.  It just eats into the profit.
          We were talking about being profitable here
          earlier like it is possible.  It gets harder
          every year.  I've been at it for 25 years and
          every year it gets harder than the previous year.
               Chip used the term, and I liked his term,
                                                        185
          perhaps if I had avoided it, I wouldn't have had
          my outburst this morning about guidance.
          De facto regulation.  That is exactly what this
          will ultimately end up being.
               And I'll finalize by saying, this is -- and
          I'll repeat it -- this is your only chance to
          have any impact on the GAPS that you're going to
          develop, and once it's out of your hands, by
          de facto regulation, I'll live with it for 11
          more years.
               MS. ISAACS:  Thank you, Dr. Beasley.
               I should have mentioned earlier, if you do
          have written testimony, to please leave at least
          one copy with us at the head table.
               And now we'll hear from Mr. Dan Riche with
          Riverfront Groves, Vero Beach, Florida.
               MR. RICHE:  Thank you.
               When I got the call from Richard Kinney,
          (phonetic) the executive vice president of
          Florida Citrus Packers, I got the call and he was
          being very complimentary and asking me about my
          children and taking a genuine interest in me, and
          I pulled a chapter out of Dale Carnegie's book,
          and I'm thinking, all right, Richard, what do you
          want, because I knew there was a reason for this.
                                                        186
               He told me a little bit about what this was
          about today, and I'm a farmer, and I'm a packer,
          I'm a marketer, shipper; I'm not a PR guy, I'm
          not a very good public speaker, which you'll soon
          see.  But I also know that Richard has a wife
          that I knew in college, and she has, as I think
          Mohammed said, divinely -- what was it,
          Mohammed -- divinely -- she has a divinely
          developed memory, among other things.  But a
          divinely developed memory of my college days, and
          I knew Richard had the opportunity to blackmail
          me, so I had to agree.
               Also, I'm surprised he asked me.  Last time
          he asked me to do this, we went to a
          congressional delegation and spoke to the group
          about NAFTA, and I was sitting there with my time
          and I'm making good eye contact with everybody,
          all the important things of public speaking, and
          I was getting a little cocky.  As I looked down
          the line, I noticed one of the congressmen was
          sound asleep, so that was a real blow to my ego
          and I swore I would never do this again, but here
          I am.
               My name is Dan Riche, I am the President of
          Riverfront Groves.  We are a grower, packer,
                                                        187
          shipper, and marketer of fresh citrus.  We employ
          about 200 people from the field right on through
          the packing house.
               One of my many non-paying jobs right now
          also is I serve as president of the Indian River
          Citrus League, which is a trade association of
          1,600 grower members stretching from Palm Beach
          to Cocoa Beach.  We have approximately -- in the
          State of Florida, we have approximately a hundred
          packing houses that employ plus or minus 15,000
          people.
               As we said -- one of the benefits of going
          last is a lot has been said, also.  Certainly,
          the goal of food safety is a worthy cause;
          there's no argument about that.  Our company, we
          ship to both domestic and export markets; as a
          matter of fact, 65 to 70 percent of our product
          goes offshore into the international market,
          purely because that's where the higher FOB's can
          be derived and, right now, as you probably are
          aware, in the last four or five years, citrus has
          been in a very difficult state economically.
               Under GATT -- and I've been involved with
          Richard and Bobby and some of the others
          regarding the opportunity to expand our
                                                        188
          markets -- and under GATT, we're dealing with
          Australia or Mexico or China, trying to gain
          access, and all of the discussion of access
          pretty much the preclusion of our fruit, has
          always been science based.
               This situation here, I believe, could cause
          our trading partners to react negatively if we
          eventually endorse and publish this type of a
          document.  Even if it's guidance -- and I'm going
          to echo several of the former speakers -- even if
          it's guidance, it's publicity and it's perception
          that makes a difference.
               The best example that I could think of in
          that regard was the Alar scare in Korea several
          years ago; the Alar and apple industry in
          Washington.  Well, Alar is not labeled for
          citrus; it has no use at all for citrus.  Yet the
          Korean press picked up and stated that Alar was
          applied to citrus and we lost our market over
          there and have yet to recover the same volumes.
               Again, it's perception, it's publicity.
          These are the type of things that can come out of
          these type of guidance regulations -- I'll call
          them regulations because I believe that that's
          truly what they do become.  The damage was done;
                                                        189
          there's nothing we could do about it.  We lost
          our market share, we lost a lot of money.
               Another example of an experience that I
          personally had was the United Kingdom market on
          citrus.  Sansbury is a very large importer in the
          UK.  Sansbury came through Florida and said they
          wanted to import citrus direct; they no longer
          wanted to go through an intermediate handler.
          They came to several packing houses, they came
          with a set of documents that they were going to
          say -- that they indicated that were going to be
          imposed upon us with food safety.
               They weren't unreasonable, totally; some
          were, and they realized that.  And the fact of
          the matter is, though, they went back, they --
          they indicated it was just guidance.  They went
          back, and then following that guidance discussion
          came this very long legal document that they
          required us to sign stating that we would adhere
          to all those.
               My question back to them was, well, you came
          and you said this was guidance and we were
          supposed to make every effort to adhere to this
          guidance.  Well, it became regulation and it
          became very difficult to the point that Sanisbury
                                                        190
          didn't get any fruit direct for a while because
          they had to abandon that because we couldn't
          adhere to those requirements.
               The quote was made earlier that the
          agricultural industry is a very complex one, and
          it came from -- I'm not sure, I think maybe
          Terry.  That is very true.  There is no broad-
          brush approach that's applicable to our industry.
               Fresh citrus, as Bobby and Mohammed said, is
          an extremely safe product.  We have no
          documentation of any problem with our product
          with food safety.  And as some of the other
          speakers said also, we are very apprehensive at
          the speed at which this is progressing.
               I find it a little interesting about the
          timing of this also.  The President's Initiative
          came out October 2nd.  I find it interesting that
          the timing of that was just prior to the fast
          track vote, and the possibility that this could
          have been a preemptive strike against the fast
          track opposition, which certainly might use food
          safety as a battle cry.
               Food safety is an absolute objective of our
          industry.  Hudson Foods is an example of why we
          cannot take risks with our product.  Hudson
                                                        191
          Foods, to my knowledge, is no longer in business;
          if they are in business, they're not anywhere
          near what they were.
               There is no compromise on food safety in my
          organization, and I know there is no food safety
          compromise in our industry.
               I mentioned the apple industry and Alar,
          there is a lot of people went out of business;
          there was really no basis for that claim, as you
          know.  The recourse that we, as growers, have or
          they, as growers, had, they filed in the State of
          Colorado, yeah, they probably won, but the damage
          was done.  The horse was out of the barn at that
          point.  The door was shut, the horse was out of
          the barn.  The damage was done, the economic
          damage was done.  So perception, again, in
          reality.
               Someone also said, it's difficult -- it
          would be difficult to take this type of language
          and turn it into requirement.  Well, I can tell
          you that is not true.  It's not difficult for the
          buyer to take recommendations or guidance and
          turn them into requirements.  And in our industry
          any more, the supply side of the equation is much
          more fractualized than the procurement, buying
                                                        192
          side.  And it doesn't take much intelligence to
          know who's got the strength and who doesn't.
               So in our case, if this became a requirement
          of our buyer, we would have to meet these, and I
          readily believe that this will be something that
          they will be looking at.
               Another, you know, words like -- on that
          subject -- words like minimize and avoid where
          feasible.  They just get blocked out and they
          become requirements.  I know the intention is
          good and have all due respect for everyone who
          drafted this, but I think this is the time and
          this is why you have this forum for this type of
          dialogue.
               Perception, again.  I'll take a minute to
          talk about perception and -- in another sense.
          Irradiation and cold treatment are two viable
          ways for us to move fruit to Japan, yet the
          customers won't take it.  Irradiation for obvious
          reasons, and cold treatment for other reasons
          that are not founded.  But it's the perception
          that the two of those do not work that we do not
          ship to Japan under those means of protocol.
          Again, it's a reverse, but it's perception.
               I really think what it boils down to is what
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          you are intending to achieve and what you will
          achieve are not the same.  As I mentioned
          earlier, also, we also have constant challenges
          to gain access to markets.  Currently, we're
          dealing with China, Mexico, and Australia; this
          would definitely be some new information for them
          to latch on to to continue to put some non-tariff
          trade barriers in front of us.
               On the public side, the public perception in
          our own country arguably could cause a concern;
          it could cause our population to move away from
          fruits and vegetables due to a fear, an unfounded
          fear.  This could defeat all of our recent
          objectives to encourage a healthy diet, including
          more fruits and vegetables.
               An example of that would be the Chilean
          grape scare several years ago, where we had one
          or two grapes that were tainted.  And I would
          venture to say, just like the strawberry industry
          was affected dramatically by the recent outbreak
          from the Mexican strawberries, that the
          Chilean -- or the domestic grape business was
          severely impacted by that.  And there's a lot
          of -- a lot of concern regarding that.
               In closure, I do believe in my heart that in
                                                        194
          your heart that you're doing the right thing, and
          I believe it's a noble cause.  Our industry
          specifically is fighting for survival.  The
          economics of our business the last few years have
          been extremely difficult.  We don't need this
          type of curve ball thrown at us at this state in
          time.
               I would respectfully request that you
          consider slowing down the process.  I understand
          fully the time line you've been presented by the
          President, but I also understand that time lines
          have come and gone many, many times before this
          one, and I would request that you -- you request
          an extension, if necessary, and please involve
          the portion of the USDA with the FAS and how this
          will affect us on the export side of our market,
          because I can tell you, the citrus industry,
          fresh citrus industry, would not be surviving
          with the economic state we have if we didn't have
          that one glimmer of hope that we have, and that's
          the export.
               There's too many questions at this time and
          too many possible challenges that could be thrown
          at our feet.  Again, I know you believe in your
          cause of guidance and I respect that mission, but
                                                        195
          I do believe, in closure, that the impact will go
          way beyond your intent.
               Thank you again for your time.
               MS. ISAACS:  Thank you, Mr. Riche.  And now
          we'll hear from Mr. Wes Roan with Six L's Packing
          Company, Incorporated, Immokalee, Florida.
               MR. ROAN:  Thank you very much for the
          opportunity to be here and welcome everybody to
          sunny Florida, at least it is today.  It wasn't
          yesterday, but it is today.
               Again, my name is Wes Roan.  I'm the
          director for research and development in
          vegetable production for Six L's Packing Company.
          We're located in Immokalee, Florida.  We're a
          fresh market vegetable producer, specializing in
          tomato and pepper production, packing and sales.
          We're a corporate family farming operation; we
          farm in Florida, Georgia, South Carolina,
          Virginia, and Pennsylvania.
               Recent impact of microbiological
          contamination of imported agricultural product
          seems to created a sense of doubt in the minds of
          the current administration and some consumers as
          to the reliable health benefits of fresh fruits
          and vegetables in the American diet.  The
                                                        196
          benefits of five servings a day of fresh American
          grown fruits and vegetables will always far
          outweigh the risks of potential food-borne
          illness.
               The quality and safety of our products plays
          a major role in our ability to be profitable in
          competitive global marketplace.  Microbiological
          food safety issues and best management practices
          to minimize risks of that nature have been and
          will continue to be a management strategy for the
          success of our company.
               Some of the concepts we currently
          incorporate into our production and packing
          procedures for the mitigation of microbiological
          contamination include field -- production field
          sanitation facilities for harvesters and
          laborers, chlorination of field packing and dump
          tank equipment, selection of commercially
          produced fertilizer products, the use of drip
          fertigation technologies, and the use of plant
          disease specific crop protection chemicals.
               A lot of these issues we've talked about, a
          lot of the speakers have reiterated them, and
          I'll probably say a lot of the same things.  But
          one of the issues that we face in the field in
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          the production scenario is the availability of
          water and the limitations put on us for the
          amount of water we can use and, in some
          instances, the water quality.
               We have lots of different water sources,
          sometimes many different sources on the same
          farm, depending on the location of the land,
          whether it's owned or rented; it might be surface
          water, it might be well water that's pumped from
          the ground and pumped into a pond which then is
          then pumped to the field because we don't have
          access through whatever limitations to pump
          directly from the well to the field, so we have
          to pump over the middle of the night to gain the
          volume of water we need and pump it into a pond,
          and then, in daylight hours, when the crop needs
          the water, pump it through the systems that we
          have, primarily drip irrigation in these
          instances.
               Also, others have talked about animals and
          the control of circumstances that would lead to
          these types of contamination.  Well, animal
          control is impossible.  Everybody knows that
          there are rats and mice and raccoons and deer and
          pigs, and I don't care how large your fence is or
                                                        198
          how electrically charged it is, it doesn't keep
          them out.  You know, you can go out in the field
          and be looking at your crop and you'll find birds
          nesting in the crop; stake tomatoes are a prime
          location for bird nests.
               We have a situation in Naples right now
          where we're dealing with a bear and its cub.  And
          this bear has decided that it likes our
          watermelons and it likes the things that we have
          to offer in the field better than what's in the
          woods.  Well, we called the Game Commission and
          they say, well, gee, we're sorry, it's just a
          bear and, you know, you're going to have to live
          with it.
               And the old saying that we use when we're
          pretty sure of something is, does the bear do
          what it does in the woods, and I can tell you now
          that he also does it on the farm, too.  And we
          can't control that any more.
               And not only did this bear come on the farm,
          but he's right in the middle of a residential
          area, and it doesn't seem to matter; the bear has
          free reign and we don't have control of the
          animals any more.
               Okay.  Our packing houses, we have
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          facilities that employ sanitation management
          procedures, including constant testing and
          documentation of chlorine levels and dump tanks
          and flumes.  The use of new packaging and
          palleting materials at all times, personal
          hygiene training and monitoring of packing house
          employees.
               Other recently incorporated product
          management techniques, such as positive lot
          stamping for track-back identification does allow
          for a certain amount of track-back of our
          products, but we do face the problem that, once
          our product is purchased and sent on a truck, it
          may go to a direct consumer, it may go to a
          re-packager, and once it's out of our hands, it
          can be -- I guess the word was intermingled with
          many other sources of product.  So it does allow
          for source of -- origin information, but it can
          only be effective while it remains in our
          packaging.
               We talked about education.  We talk about
          education to our workers, but we've also talked
          today about education of the consumer and
          education of the handlers off the farm.  I
          believe that consumer education is probably the
                                                        200
          biggest and most important area that we could
          improve upon.
               I know from my own personal experience with
          eating in my own household, eating at friends'
          houses, the different things that people take for
          granted or let go as insignificant in the
          preparation and handling of food is, a lot of
          times, something that concerns me, and I try to
          always educate my friends and my wife when I have
          a chance.
               The loss of control of our product in the
          transportation process is of critical concern to
          us.  We are at the mercy of the end receiver
          perspective of what the quality of our products
          are.  And a lot of times, temperature control in
          the transportation mode is the main reason for
          those problems.
               We're forced to spend money in management
          and control of temperature logging units that go
          into the transportation vehicles to justify and
          verify that the temperatures were maintained as
          the transporter indicated that they were; it's
          not just his word against ours, we now go ahead
          and document through data loggers temperatures
          from one end to the other.
                                                        201
               Sanitation is real important at the -- we've
          talked about it -- at the retail markets.  The
          fondling issue is very funny and -- but it's so
          true.  How many times do you, as a consumer, go
          in and you grab that cantaloupe and you want to
          feel it or maybe you pick it up and you sniff it,
          or you grab that tomato and you squeeze it.  It's
          just so common.
               And all of the risks and the potentials that
          come in with the consumer are hard to ignore, and
          probably where we should be focusing a lot about.
               Six L's Packing Company will continue to
          implement management strategies that minimize the
          potential for microbiological contamination as it
          makes good sense.  I hope that in an era of
          regulatory actions that impact the way we manage
          our labor, the chemicals that are available for
          our crop protection, the availability of a water
          supply, and the constant onslaught of
          environmental lawsuits that attack farmers as
          polluters of the community, our legislators will
          find wisdom and use their strength in coming to
          grips with the realities of microbiological
          contamination.
               There are currently many laws that impact
                                                        202
          issues that affect the potential for food-borne
          illness.  Jumping into the rapid escalation of
          government guidance documents and/or regulatory
          action without due diligence and attention to
          sound scientific data will only exacerbate the
          financial burdens to American agricultural
          producers.
               Thank you very much.
               MS. ISAACS:  Thank you, Mr. Roan.  We are
          going to participate in a five-minute break.  We
          have four official industry presenters yet to
          present.
               Dr. Malecki, what time did you have to leave
          by?
               DR. MALECKI:  I have to leave by 3:30.
               MS. ISAACS:  3:30?  Okay.  If it's okay with
          Camille, I think when we come back, can she give
          hers and then go back to the industry and then
          continue with the stakeholders?
               Okay.  Be back here by 3:00, we'll give you
          eight minutes, and there's some drinks left
          outside.
               (Thereupon, a short recess was taken.)
               MS. ISAACS:  Okay.  As I mentioned, Dr. Jean
          Malecki, she's an M.D. and has also has a
                                                        203
          master's in public health.  Dr. Malecki is the
          director of the Palm Beach County Health
          Department, and we're just briefly interrupting
          the industry presentations for now because she
          can only stay here for a little bit longer
          because of a conflict.
               So come on up, Dr. Malecki.  Thank you for
          joining us.
               DR. MALECKI:  I am going to show a couple
          slides.  I don't know if you'll be able to see
          the overheads.
               First of all, welcome back from lunch, and
          most of us had a lunch of chicken, rice, and
          beans, and still we're back here with our
          behavior habits talking about the health of fresh
          fruits and vegetables.  I just say that because
          am a proponent of fresh fruits and vegetables.
               First of all, just a few comments before we
          turn the lights off.  I am a public health
          official for this county.  I have been involved
          in what I call enumerable outbreaks related to
          food products from contaminated spice with
          specific bacteria, and not necessarily because a
          spice had bacteria, and spice do, but because of
          improper cooking of the spice, all the way -- and
                                                        204
          that was in a major hotel here in Palm Beach --
          to an outbreak of Hepatitis A related to little
          kindergarten children taking jellybeans off the
          table of a kindergarten teacher and transmission
          that way.  So I really do appreciate the comments
          that I've heard that from farm to mouth is
          extremely important.
               Welcome to Palm Beach County, the diarrhea
          capital of the world.  And that marks my career.
          Our Margarita y Amigas' Salmonella to cyclospora.
          In fact, just recently, the press decided that I
          should start a new sitcom for a new network
          coming into being on Paxson, and it's supposed to
          be entitled Diary of a Medicine Woman.  And
          that's for real.
               And we also, because of the situation,
          especially with cyclospora, have Boca Raton, one
          of the, you know, wealth capitals of the world
          next to Palm Beach, called Bocarrhea.  So we
          really -- you know, we really consider this very
          serious.  And I'd like to say that we have the
          cleanest colons in the United States.
               With that, my comments today are going to
          outline what we went through in investigating
          cyclospora.  Back in 1995, Palm Beach County
                                                        205
          really was the major county that initiated
          investigation of this, what we call, emerging
          health threat.  A disease caused by a parasite.
          The parasite actually is in the slide there, A,
          it's the largest one, and this is one which
          really was unknown to the United States back in
          1995, unless you traveled abroad and you consumed
          water or produce abroad in countries where this
          is endemic.  Otherwise, we didn't see it here.
               But in 1995, we did because we were looking
          for it.  We had a laboratory and hospital down in
          Boca who actually had a medical director who came
          from Peru, who did a lot of work in Peru, knew
          about cyclospora, saw travelers with this, and
          actually trained the laboratory technicians in
          identifying this.  Otherwise, this would have
          gone undiagnosed.
               At the same time, a smoking gun was
          occurring in New York.  Certainly not as vast in
          the outbreak as in Palm Beach County, but one
          which really substantiated some of the findings
          that we found in 1995, and then further on into
          1996.
               I show the organism to you because our
          discussions today have dealt with the safety of
                                                        206
          the fruits and vegetables and the importance --
          and I want to stress this now and at the end of
          the few minutes I'm going to speak -- the
          importance of research in microbial standards.
          And when I'm saying that, I want to say microbial
          identification.
               We were at a loss in this county, we were at
          a loss world-wide because this was an organism
          which was basically an unknown and an emerging
          health threat.  Very little research had been
          done on it.  And, in fact, to today, we do not
          have a sensitive and specific test to isolate it
          off produce.
               We certainly are better at it looking at it
          in humans and looking at it in stool, but we
          still are at loss.  Is that uncommon in public
          health?  No, not at all.  In fact, the
          investigation and promotion and intervention of
          almost all of the major health threats that we
          have seen known to man have been corrected
          without identifying the cause of it.
               If you go back to the studies in England on
          cholera, typhoid, no one can isolate those
          organisms.  In fact, our earliest intervention on
          HIV, the largest cause of AIDS, were done and
                                                        207
          implemented prior to our isolating that virus.
               So I say that to you as industry, as
          stakeholders and people who are charged with
          public health, that the science of epidemiology
          is extremely important, even if you can't isolate
          the organism, because I will guarantee you, the
          laboratory science falls behind, and it still
          does with this particular organism.
               One other thing that you should know is that
          we, at public health, like to say, cook your
          meat, right?  Wash your fruits and vegetables,
          because we all know there will be some form of
          contamination.  A good scrubbing here and there
          does you a lot of good.  This organism is a
          sticky organism, and how many of you really can
          thoroughly scrub those wonderful beautiful
          berries that are very pliable and very fragile.
               So knowing the microbiology of the organism
          helps you, helps us in public health, and really
          to give a good public health message.
               This -- I do need to go over there, but I'll
          describe this because it's important when you're
          investigating an emerging health threat,
          especially one which has been imported.  And my
          comments are going to be totally isolated to
                                                        208
          importation, and I want you to be aware of that.
               As you could see here, we're comparing the
          1995 outbreak to the 1996 outbreak.  The 1995
          actually is a diamond shape and they're purple,
          and the 1996 are orange colored and they are in
          circular color.
               When the outbreak occurred, it occurred in
          Bocarrhea, or Boca Raton.  I say that because,
          when we were investigating this for public
          health, we did everything possible; we
          interviewed every patient and their family, we
          went to every restaurant -- and let me tell you,
          people in Boca like to eat out -- we investigated
          every grocery store, we went to every
          distribution center, and I personally watched the
          trucks come in.  All right?  From across state to
          the distribution sites.  And we knew -- and we
          knew early on, it did not occur here in this
          county and the contamination did not occur in
          this state.
               So by doing that and by looking at the water
          supplies, number one, the water supplies, we were
          able to begin to hypothesize.  Eventually, it was
          not just an isolated event in wealthy Boca Raton,
          which was a clue to this whole thing, because
                                                        209
          people without the money can't purchase those
          beautiful, beautiful berries that come into the
          State of Florida, at that particular time,
          they're very costly, and there is what's known as
          market share.  And as you know, there's a
          distribution based on cost and based on beauty
          and based on taste to those areas of the country
          where people can buy them.  So lo and behold, we
          began our outbreak.
               Will you please give me the next slide?
               Because of the lack of laboratory science,
          the unknowns, we identified in 1995, 41
          laboratory confirmed cases.  Is that all we had?
          Absolutely not.
               And by the way, this is probably happening
          all over the country, but nobody was looking for
          it except for us.
               And, as you can see, when we were looking
          through this, we did have two events; everybody
          dreams of an outbreak of a single event, and we
          eventually were looking at strawberries and at
          raspberries and began tracebacks with our
          partners, our distributors, and that's where the
          trace back began, which is now called lot
          identification.
                                                        210
               I think this is a very important point, and
          I'm going to raise it right now, and I'll
          reiterate it again in my comments.  But the
          industry, as a whole, federally, we have to come
          to grips with being able to truly traceback to
          the farms.  That's where the identification of
          contamination must be.  Remember, I'm talking
          about imports.  Because the contamination here
          really did occur at the farm site, and if we
          can't trace back to those farms, there is that
          commingling in the packaging piece, and if we
          want to save an industry and we want to be able
          to have a single voice as to a culprit, then we
          must be able to do that.  And if one piece of
          industry has to go blind, but let's not have the
          whole apple industry or the whole raspberry or
          strawberry go down the tubes.
               May I have the next slide, please?
               The conclusions of the 1995 with an
          epidemiological study with the CDC pointed to
          soil contamination and possibly raspberries.
               In 1996, because of the awareness that
          occurred, we certainly notified all my
          compatriots throughout the United States, other
          people were ready to pick this up.
                                                        211
               Most of you remember the Houston media event
          that took place.  We had 108 laboratory confirmed
          cases.  And, again, we looked at clusters, we
          looked at confirmed cases and, in this particular
          time, as also took place throughout the United
          States, pointed to Guatemalen raspberries.
               What's important -- and this has to do with
          partnering, and this has to do with consumer
          awareness and both of those terms have been
          mentioned.  When we have demographic evidence, as
          we had in 1995, it is certainly important to
          actually apply what we call the basic science of
          public health, which is epidemiology, knowing
          full well in these types of situations, you might
          not uncover the actual cause of the organism, but
          based on statistics, you can really point your
          finger, and you can really find a culprit and you
          can find provide interventions and
          implementations.
               You get the statistical evidence in here; it
          was raspberries, and it was very specific to
          Guatemalan raspberries and, as we moved forward
          with this and we did our tracebacks, it was
          difficult to go back to the farm.
               And as you know, CDC went over there, I
                                                        212
          think FDA went over to Guatemala, and they did
          attempt to initiate changes over there at the
          farm site; hygiene, sanitation, there was water
          that was contaminated, they actually had
          risked -- had a risking level from one, two,
          three, four, in terms of the farms and when they
          could export and when they could not export fresh
          versus frozen raspberries versus no raspberries
          at all.  It was either a complete HACCP or a
          modified HACCP approach.  It didn't work.  It
          didn't work.
               We relied on an existing environmental
          evidence, which is weak right now, which is one
          think everybody in this room has to support.  If
          we can do tracebacks back to the farm without the
          commingling, I think the industry and, most
          importantly, the public will be better informed
          to make wise choices and important choices in
          their diet.
               In terms of epidemiological evidence, we can
          no longer avoid or put our heads in the sand the
          strength of that evidence.  It's three years
          later, and we're seeing this product come out.
               I, too, because I'm a public health official
          and I specialize in prevention, I want everybody
                                                        213
          to eat fruits and vegetables.  But I also want
          them safe.  So I want both and I want them now.
               Next slide.  Let's go to the next one.
               MR. BARNES:  That's it.
               DR. MALECKI:  That's the end of it?  Okay.
               Let me go ahead and summarize.  Evidence.
          Again, evidence on sampling, evidence used
          epidemiologically and statistically.  We still
          cannot isolate cyclospora from fresh produce,
          whether it's Peruvian lettuce, lettuce from Peru,
          raspberries, basil, whatever it might be.  But
          there are indicator organisms, and I would like
          to see this panel address that.
               We know when there's contamination.  We
          don't have to have cyclospora on a piece of
          lettuce to know that.  There are indicator
          organisms that you use in your industry, such as
          E. Coli.  And I think if you start looking at
          sampling, whether it's a guidance issue or a
          regulatory issue, E. Coli is an indicator of
          contamination.  And I suggest to you, that could
          be of use in terms of sampling produce that comes
          into this country.
               Positive lot identification.  This is a
          cooperative issue, and one which us, as a public,
                                                        214
          in making our choices whether to choose
          raspberries from the State of Florida versus
          raspberries from Guatemala, versus specific
          farms, is extremely important for us.
               Perishability of the produce.  And when
          we're looking at where can we identify, where
          should we test, you've got to go back to the
          farm.  When you're investigating a disease like
          cyclospora which has an incubation period that
          can range up to 22 days, and I'm relying on your
          memory to tell me what you ate even two weeks
          prior to that, how many of you can tell me what
          you ate two days ago?  Then to go back to the
          shelf to get that same raspberry batch, it's not
          there any more.
               So I agree with you, and I wholeheartedly
          support, that if we are going to look at
          continuing to import from areas where we know
          there's contamination and we want to provide
          technical assistance, then we have to go back to
          those farms and work with that contaminated water
          and work with those folks; not here in our local
          supermarket.
               Educating the wise consumer.  I think we've
          been in the forefront in the State of Florida,
                                                        215
          and I commend the regulatory agencies, to ensure
          and implement, make sure that there's labeling in
          every one of our grocery stores so that people
          can choose; they can choose what they want to buy
          and where they are buying it from.
               And most importantly, research and
          development.  This is not just research and
          development in terms of microbial standards for
          produce; this is research and development on the
          medical side of the house as well.  They can't be
          separated.  They're intertwined.
               So the partnership that we have has to
          remain there.  There has to be a trust factor,
          and we have to be cooperative in our approach in
          the future.
               So with that, I want to say thank you for
          allowing me to present this.  I certainly applaud
          the efforts.  It's been three years in coming.
          know some of you think that there's a delay here.
          As far as I'm concerned, I would like to move
          forward, and certainly move forward
          collaboratively.  And, again, these are comments
          made on importation.
               Thank you.
               MS. ISAACS:  Thank you, Dr. Malecki.
                                                        216
               Now we will go back to the industry.  Some
          folks had signed up to give short presentation
          testimony.  J. Luis Rodriguez.  You're with the
          Florida Farmers & Suppliers Coalition?
               MR. RODRIGUEZ:  Yeah, I'm willing to yield
          my time to Mr. Smigle, because he wants to make
          visual presentation of a short documentary that
          we have.
               MS. ISAACS:  Okay.  Gary, did you want to
          come up here?
               Okay.  Gary Smigle, president of the Florida
          Tomato Exchange, and you're based out of where?
               MR. SMIGLE:  Lantana.
               MS. ISAACS:  Out of Lantana.  Okay.
               MR. SMIGLE:  My name is Gary Smigle, I'm
          president of the Florida Tomato Exchange.  I'm
          with Mecca Farms; we farm on the East Coast of
          Florida, primarily winter vegetables.  We're a
          family farm and business.  We've been in
          operation just at 100 years.
               We're unalterably opposed to this initiative
          and to the guidelines, and I'll tell you why
          briefly.
               When I first heard of the President's
          Initiative I said, great, he's finally come
                                                        217
          around.  It seems like every three months over
          the past two years myself, Mr. Rodriguez, I've
          seen Mike Stuart, many, many people from our
          industry have been up in Washington asking the
          government to push a country of origin labeling
          law.
               We think there is a problem.  The problem is
          not in the United States farmers; the problem is,
          as the doctor just told you, that we see it, is
          Guatemala, it's Mexico, it's the people that now
          produce 60 percent of the winter vegetables eaten
          in the United States.
               These countries routinely use practices that
          wouldn't last a minute in this country, and then
          they have free-flow of all that produce into the
          United States where it's not labeled, where the
          consumer does not have a choice, and where we say
          people are getting sick.
               We, too, deal with the 46 government
          inspectors, some days it seems like twice that
          many.  We don't need another government
          regulation on us until we cure the primary
          problem.
               Before the program closes out, they've
          agreed to show our documentary, it's 12 minutes
                                                        218
          long.  We sent a film crew to Mexico to document
          the sanitary practices there and we would invite
          you to look at that.
               Thank you.
               MS. ISAACS:  Okay.  Thank you, Gary.  That
          video will be shown when we wrap up our session.
          If we go, you know, until 4:00 o'clock or after,
          for those of you who want to stick around.
               Did Dr. Malecki leave?  She wound up with
          one of my business cards, so I may not call
          everybody who signed up here, so speak up if you
          don't get called by the end of the day.
               Okay.  Next we will hear from Mary Dettmers
          with PBC Greenmarket Association.
               And, Mary, where are you from?
               MS. DETTMERS:  I'm from Jupiter.
               MS. ISAACS:  Okay.  From Jupiter, Florida.
               MS. DETTMERS:  I am a master gardener
          trained here at the Palm Beach County Extension
          Service, and also serving this year as the part-
          time director of the Palm Beach County
          Greenmarket Association.
               And I wanted to draw to your attention to
          something that's happening here in Palm Beach
          County that I think is very relevant to the
                                                        219
          discussion today.  We're talking about from the
          farm to the table, the safety of the food.
               Obviously, the quicker you get from the farm
          to the table, the safer the food is; the more
          direct the route.  And here in Palm Beach County,
          the agricultural community and the government
          have joined together in a very proactive movement
          to provide local produce to the local population.
               We have a group here called the Agricultural
          Enhancement Council.  It's representatives from
          different parts of agriculture who are advisors
          to the Palm Beach County, Board of County
          Commissioners.  They've been in existence just
          two years and, in that time, there's three
          projects that they've done that I think could be
          imitated country wide.
               The first is, ask where it's grown.  This is
          just one of the posters; there's also bumper
          stickers and other literature.  But ask where
          it's grown.  We are educating the local
          population to ask where the produce comes from.
               Recently, the Palm Beach Post reported that
          60 percent of the people nationwide don't care
          where their food comes from; it's not even a
          question, they never thought about it, it doesn't
                                                        220
          matter.  Well, it does matter if you're trying to
          get the food from the farm to the table in the
          quickest possible way so that there's less
          opportunity for any contamination.
               Obviously, if you think about it, it
          matters.  And so our agricultural community,
          which we must say is a wholesale agriculture
          here; we're the biggest agricultural county in
          the Eastern United States, and it's 99 percent
          wholesale, in other words, shipped north and out
          of state.  Nevertheless, the farmers here
          recognize that it's time to start creating
          avenues for their produce to get to the local
          population.
               So in addition to this educational program,
          they have provided support for the Palm Beach
          County Greenmarkets, which are open-air community
          markets that have just sprouted up, again, within
          these past two years.
               The first one was started by Mayor Graham of
          West Palm Beach, a very strong mayor who believes
          that local produce is best for the health of the
          people, and that an open-air community market is
          one of the best ways for people to gather.
               Well, our Agricultural Enhancement Council
                                                        221
          supported that effort by creating an association
          of any greenmarkets that started.  In two years
          now, we have seven community markets that are --
          come right down the coast of Palm Beach County,
          all in an effort to make local produce available
          to the local population.
               And then the third of the projects, just
          briefly then, is the growing tours.  The Ag
          Enhancement Council has supported tours whereby
          they're taking tours by the bus load and local
          people to the farm so they can find out what is
          being grown here in Palm Beach County, what are
          the standards by which our food is being grown,
          and educating themselves about what the food
          supply is.
               All three of these are aimed at shortening
          that distance between the farm and the table.
          And, you know, as a master gardener, we work with
          people all the time, telling them how to create
          habitat for all the different species; how to
          plant blue porter wheat so you get butterflies in
          your yard, you know.  And, meanwhile, in Palm
          Beach County, we watch our food supply, the human
          food supply, being outsourced to Mexico and
          Central America and other countries.
                                                        222
               Not to say anything bad about what's grown
          in other countries, but it's a principle of
          ecology that you keep the food as close to the
          species as possible, and that's what the people
          in Palm Beach County have been trying to do
          through this cooperative effort of the
          agricultural community and the government.
               And just this week, the Department of
          Agriculture from the state, the State Department
          of Farmers' Markets, agreed to give us signs for
          each one of our seven markets that have the big
          "Fresh From Florida" logo on it, and the support
          of Bob Crawford and the Department of Agriculture
          for this effort.
               Thank you.
               MS. ISAACS:  Thank you, Miss Dettmers.
               Next we have A. Roswell Harrington with
          Florida Organic Growers.
               A VOICE:  He had to leave.
               MS. ISAACS:  He had to leave.  Do you know
          if he left any written testimony?
               A VOICE:  No, I don't.
               DR. TROXELL:  We'd appreciate hearing his
          comments if he'd submit written comments or
          something.
                                                        223
               MS. ISAACS:  And, in fact, I should have
          mentioned this earlier.  I was told around break
          time that the announcement that we formerly
          alluded to this morning that it was in your
          packet that told you how to submit your written
          comments, for some reason, was not in the packet,
          so Camille has had copies made, and please pick
          one of these up on your way out so you can submit
          additional written comments, and be sure to use
          that docket number on here.
               DR. TROXELL:  And let me say right now, the
          comment time frame in there, I believe, is
          December 19th.  Please don't hesitate to send
          comments even if you can't get them in by
          December 19th.
               There is going to be plenty of time through
          December and beginning of January to get comments
          considered in our next phase of this project, and
          we really would like to see written comments so
          we can think about what you all have to say.
               MS. ISAACS:  Okay.  Thank you.
               All right.  Al Yamada?  Is that right?
               MR. YAMADA:  Yes.
               MS. ISAACS:  Al is with Fresh Produce
          Association of the Americas.
                                                        224
               And you are here representing James Cathey
          with Produce Kountry.
               MR. YAMADA:  Yes.  Thank you.
               My name is Al Yamada.  I'm here because Jim
          Cathey, who is a grower, packer, and distributor
          and has operations in Tennessee, California, and
          Arizona, couldn't be here, and he wanted a short
          statement read for the record, so I agreed to do
          that.  So allow me to make it as short as
          possible considering the hour.
               I'm afraid that much of this current rush to
          create an all encompassing voluntary guidance for
          fruits and vegetables is ruined by an irrational
          desire to accomplish the unwarranted.
               Facts do not support the need to focus on
          imports as a source of food-borne illnesses.
          Looking, however, at the way the President's
          announced initiative to ensure the safety of
          imported and domestic fruits and vegetables, one
          would also assume that if there were no imports,
          there would be no food-borne illnesses and no
          more outbreaks.  Many would say that it's wrong,
          but I'm afraid, again, that just as many probably
          would be happy to let the public reach that wrong
          assumption.
                                                        225
               As a businessman with domestic and
          international experience, I believe a proposed
          guidance will affect more American farmers than
          foreign farmers.  The reason is that foreign
          growers are already used to rigid inspections and
          they're prepared to meet whatever standards
          established here.  Since all imports come through
          check points or better known as ports of entry,
          they are already subject to these sort of
          inspections.  Foreign farmers are more likely to
          be ready, therefore, to meet the challenges
          proposed by the proposed guidelines.
               Meeting budgetary standards is simply one of
          the costs of doing business, but is the cost
          warranted in this extended cost effective.  The
          answers are not very clear.
               While foreign producers might take the
          position that they need to do whatever's
          necessary to carry on trade, domestic growers
          think the guidance is unnecessarily onerous.
               I would like to discuss two points briefly;
          one is that of international trading standards,
          the other is domestic growers.
               In Tennessee this past summer, some of the
          local growers, including growers in Virginia and
                                                        226
          the Carolinas, were delivering tomatoes to me in
          used cartons, and I observed even tree fruit
          packed in used tomato boxes, and when I pointed
          out that reusing cartons is illegal, a Virginia
          agricultural official told me that no one had
          ever mentioned that to him before, and he also
          didn't want to discuss how they enforce that type
          of law there.
               In contrast, if any American importer were
          to deliver to any port of entry produce in used
          boxes, that product would be turned back and the
          shipper would be in big trouble.
               Simply put, imports automatically meet
          federal standards or they do not get into the
          market; they do not come into this country.  The
          same is not true with all domestic produce,
          because they do not necessarily go through an FDA
          checkpoint.
               The other point is about international
          trading standards.  I said earlier that foreign
          shippers probably will do whatever is necessary
          to meet U.S. standards because they want to trade
          with Americans.  Of course, Americans want for
          their fruits and vegetables to complement the
          domestic supply.
                                                        227
               That does not mean that foreign shippers
          will tolerate any standards.  At some point, they
          are going to object or they are going to insist
          on similar standards on U.S. agricultural
          products that go into their country, then we will
          all know how much trouble can be caused by these
          proposed guidelines.
               That is why this most important proposed
          guidelines be done non-discriminatory towards
          foreign agricultural products, and that the
          guidelines be in conformity or in line with
          proposed international trade agreements.
               The proposed guidelines must not become, not
          be perceived as non-tariff trade barriers.
          American agricultural exporters, including the
          Florida Citrus Growers, have experienced exotic
          regulations overseas.  They realize that the
          regulatory game can be played in many ways by
          different countries.
               Furthermore, American trade negotiators have
          constantly fought against discriminatory
          regulations overseas.  FDA, therefore, should
          more firmly take into consideration the
          possibilities of international trade
          repercussions before finalizing the proposed
                                                        228
          guidelines.
               My final point is to question the need for
          this moniminiacle dash to the finish line.  The
          whole effort is moving at a speed that is totally
          uncomprehensible and unsupported by science or
          data.  Raising public awareness of safe food
          handling practices has always been (inaudible)
          but the public must understand that the farm is
          not where all the problems start, and the FDA
          should not focus it's safe initiative on only
          farming operations.
               Thank you.
               MS. ISAACS:  Thank you, Mr. Yamada.
               MR. YAMADA:  Thank you.
               MS. ISAACS:  Do we have any additional
          industry presenters at this time?
               (No response.)
               MS. ISAACS:  Okay.  As we mentioned, if you
          have additional comments, be sure to send in your
          written comments after the meeting.
               Okay.  On the other stakeholders' side of
          it, we have Rebecca Schleifer?  Schleifer?
               MS. SCHLEIFER:  Schleifer.
               MS. ISAACS:  Schleifer.
               MS. SCHLEIFER:  Yes.
                                                        229
               MS. ISAACS:  And Rebecca is an attorney and
          has a master's in public health, and she works
          with the Migrant Farmworker Justice Project out
          of Belle Glade, Florida.
               MS. SCHLEIFER:  Ms. Isaacs, my name is
          Rebecca Schleifer, I'm a staff attorney with the
          Migrant Farmworkers Justice Project in Belle
          Glade.  I also have a master's degree in public
          health and I do a fair amount of public health
          education both with Florida advocates and also
          some with health care providers.
               I just have three brief remarks, and one
          comment on something that was -- something that
          came up this morning.
               I think we probably all agree that field
          sanitation facilities in the fields are
          important.  I just wanted to comment that, first
          of all, the best information that we have on a
          national basis, which is the National
          Agricultural Worker Survey, or the NAWS Survey,
          reports that only one-third of farm workers have
          adequate drinking water, water for washing and/or
          toilets in the field.
               My own experience working both here in
          Florida and Washington State, supports the fact
                                                        230
          that, in many fields, farm workers don't have
          adequate access to toilet facilities, and even
          where there are toilet facilities, often they are
          not clean or they lack doors, or there are enough
          of them.
               Also, the federal standards require that
          field sanitation facilities be present if there
          are 11 or more farm workers in the field.  We're
          fortunate in this state that the state law also
          required that if there are five or more farm
          workers, that such facilities be present.
               I just wanted to say it would be great if we
          could be like the four states that require these
          facilities if there are any farm workers present
          in the field, and those are other states which
          have a significant population of farm workers;
          North Carolina, Washington, Oregon, and
          California.
               My third comment is just one other problem
          that we hear a lot about from farmers with whom
          we work is that even, again, when there are
          facilities present, they often aren't given time
          to use them.  This is particularly a problem
          for -- or we hear this is often a problem for
          people that work in packing houses where people
                                                        231
          work in a line and they all have to -- they can't
          just leave when they want to.
               Oftentimes, people are given ten minutes and
          there's 30 people in the line and there's often
          not enough time to go.  So this is something that
          people should pay attention to to make sure that
          people are using facilities and using them
          properly.
               My only final comment is that I think that
          it's good that the guidance does talk about the
          importance of workers reporting their illnesses,
          and also of accommodating workers with illnesses
          or diarrhea or lesions.  I just think that people
          should be realistic about this kind of
          expectation in a climate where workers are very
          fearful of reporting any kind of problem for fear
          of being fired or otherwise retaliated against.
               MS. ISAACS:  Thank you.
               Okay.  Who's business card did I lose?  Who
          else wanted to present?
               Yes, sir.  We'll let you introduce yourself.
          I'm sorry about that.  Dr. Malecki has your card.
               MR. PAIGE:  Here, you can have one.
               MS. ISAACS:  Well, then let me introduce
          you.
                                                        232
               MR. PAIGE:  Oh, okay.
               MS. ISAACS:  All right.  This is Stephen
          Paige.  He's the director of the Bureau of
          Environmental Health Services, and you're from
          Topeka, Kansas, Department of Health and
          Environment.
               Thank you for joining us.
               MR. PAIGE:  Thank you.  And why am I here?
          Well, I understand that the forecast low at home
          is 14 degrees; that's why I'm here.  I may stay
          all month.
               There's a couple issues I'd like to talk
          about.  I apologize for not having prepared
          remarks as I just read the document this morning.
               First of all, I think the issues related to
          water should be left alone.  Water is regulated
          to death, and it just seems to me that another
          comment or two about regulation of water would
          just cause problems in our 50 states and 5,000
          local agencies that deal with water issues from
          ground water to surface water to agricultural
          irrigation water, and I think that if the
          guidance document refers to water, they ought to
          just say, shall comply with any local -- state or
          local ordinances or requirements regarding water.
                                                        233
          If we do more than that, I'm afraid we'll run
          into conflicts.
               For example, suggesting one water sample per
          year from an otherwise properly constructed and
          located well, is probably in contrary with some
          local standard someplace.  And unless the FDA
          wants to drop their preemption of local codes and
          ordinances, I think that would run into a
          problem.
               My next comment would be in regard to
          sprouts.  I see no other place in the documents
          that we have to regulate or control sprouts in
          regard with causing food-borne illnesses.
               Sprouts are not well organized.  Sprouts
          would be, I would say, a fledgling industry, done
          from small -- small shops; one, two, three people
          shops, that have sprouteries down to sprouts that
          are grown by the restaurants in the hand sink or
          whatever.
               The issue is that sprouts have a real
          potential for causing food-borne illness.  I
          speak from experience.  This year, we had an
          outbreak in the Kansas City area of Salmonellas
          associated with sprouts grown by one company in
          Kansas City, Kansas.
                                                        234
               We had 105 cases of Salmonella infantis.  We
          didn't have any deaths, and we didn't have any
          bodies from that, but we had, I believe,
          52 percent of the cases had bloody diarrhea and
          thought they were going to die.
               The cost of that was tens of thousands of
          dollars, tens of thousands of dollars for the
          consumer, 105 people with Salmonella infantis;
          that is a phenomenal expense to them both in
          wages lost and medical treatment, including
          hospitalization.  The cost to my agency was tens
          of thousands of dollars.  The outbreak started in
          February.  Geez, the final report was probably
          written in August.  Our last case was sometime in
          April.
               The cost there was phenomenal.  Let alone
          the time it took away from our other business.
          The cost to the industry of this particular
          outbreak wasn't a whole lot, it was just one
          business, a three-person staff; one owner and two
          part-time helpers out of business for good.
          There will be no more sprouts sold under that
          name.
               The cause of this outbreak was contaminated
          seed.  There have been other outbreaks in the
                                                        235
          country; it's an international problem.  There
          have been outbreaks in Canada and Japan.  The
          outbreaks associated with sprouts have been so
          far restricted to Salmonellas and E. Coli 015787.
          And as you know, the significance of infections
          and disease caused by E. Coli 015787 is more than
          just the entire disease.  The causes, the
          lifelong problems caused in children from
          disinfection is devastating.
               The problem being contaminated seeds is not
          going to go away.  Alfalfa sprout seeds are
          raised -- are grown and harvested with the
          intention of raising more alfalfa plants.
          Generally, alfalfa plants are used to feed
          cattle.  Grown in fields, it's harvested with
          combine, it's baled, it's stored, and we feed
          cattle.
               However, if the restaurateur or the person
          that runs the small sproutery decides that he
          needs more seed, he goes to the feed and seed
          store and buys a small quantity -- a relatively
          small quantity of alfalfa seed to raise his
          sprouts.
               So those seeds that have been combined off
          the ground from the alfalfa field where the
                                                        236
          combine could have hooked to the ground and
          picked up some dirt, combine could have picked up
          a snake as far as that goes or reptile or other
          contamination from animals.
               I have a picture of an alfalfa field that
          was cut to harvest the seed and, in the
          background, there's a cattle feed lot.  So what's
          the likelihood of something that's on the ground
          going from the ground to an incubator, being the
          sprouter, to our salad, being contaminated.  The
          likelihood is great.
               I think at this time, we need to have some
          direction from FDA or USDA or both from the
          university that would provide us some guidance as
          to how we can help industry obtain or use or
          somehow provide safe seed for producing alfalfa
          sprouts.
               The likelihood of producing a seed from the
          field that isn't contaminated is not realistic
          and I don't expect that to ever happen.  We need
          to have a critical control point at the
          manufacturer's level that will prevent
          contaminated seed from getting to the consumer.
               More than likely, there are in the
          neighborhood of 200,000 salad bars in the United
                                                        237
          States.  That's just my guess.  If anybody wants
          to refute that, that's fine.  But let's say there
          are 200,000 salad bars in the United States.
          Most of those have sprouts as one of the items to
          be selected off that salad bar.
               A lot of people that eat sprouts don't know
          they eat sprouts.  When we did our epidemiology
          on our outbreak, it pointed to lettuce as being
          the causative food of the outbreak.
               Well, it was more or less a -- a hunch that
          we sampled some sprouts.  Most people -- or a lot
          of people did not realize they had eaten sprouts
          when they had eaten their salad or their
          sandwich.  Sprouts were an unknown ingredient in
          those products that were eaten.
               With our hunch, we found that we had
          Salmonella infantis isolated from the stools of
          the sick people, we had Salmonella infantis
          isolated from sprouts from the sproutery, from
          the seed, from the seed producer, and from the
          equipment in the facility that produces sprouts.
          So there's no question in this case that the
          cause of morbidity was contaminated sprouts, and
          the cause of that was contaminated seed.
               So I would urge FDA to give us some tools so
                                                        238
          we can help industry provide them clean sprout
          seeds.
               Thank you.
               MS. ISAACS:  Anyone else?
               Yes.  Go ahead, Stacey.
               DR. ZAWEL:  Stacey Zawel with United.  I
          just wanted to make two brief comments for the
          record.
               One of them, Dr. Malecki gave a very good
          presentation of the raspberry and cyclospora
          outbreak in this area.  I thought that was very,
          very good.
               And one of the things that I'd like to point
          out is the example that it sets that, in fact,
          FDA and CDC have been down in Guatemala for two
          seasons now, trying to help out the Guatemalans
          and address this issue, test different -- test
          the product for cyclospora, test for water
          sources and other, and they haven't been able to
          find it.
               I think it provides a very good example for
          the fact that we don't have enough science to
          understand what our interventions are actually
          achieving, so we need to be careful.
               The second thing is something that I, as an
                                                        239
          industry representative of many different
          commodities, have to say over and over and over,
          and I really can't emphasize it enough, and I
          know sometimes I sound like a broken record, but
          when we talk about all these outbreaks, we have
          to really be very, very careful to talk about the
          vehicle that was associated with contamination
          and not speculate as to where that might have
          happened.
               Especially in instances of today, I'm
          specifically stating this for the media that is
          in our presence.  I think all of us need to be
          very conscious of the statements that we make,
          and so while we understand, and I certainly
          understand, nobody intends to wrongly implicate
          something.  It does have a huge economic impact
          on, perhaps, an innocent industry, and so I just
          want to clarify that the strawberry and hepatitis
          outbreak was a frozen strawberry outbreak that
          was a vehicle contamination and, in fact, the
          strawberries were grown in Mexico, were processed
          in California in the frozen state, and that is
          what contaminated people.  We just don't know
          where the contamination, in fact, occurred in
          that outbreak.
                                                        240
               MS. ISAACS:  Okay.  Thank you, Stacey.
               Anyone else?
               DR. ISMAIL:  This is Mohammed Ismail with
          the Florida Department of Citrus.
               We do acknowledge the -- definitely, the
          sincerity of the Food and Drug Administration and
          the President's Initiative.  And the guidance
          that have been developed so far are excellent and
          could serve as a guideline for each of the food
          and vegetable industries throughout the United
          States as a starting point to develop their own
          voluntary guidelines that would suit their own
          industries.
               And in the meantime, some of the funding
          that is -- and the dollars that are being spent
          in this effort should be going into research, and
          each of the land grant colleges, universities, as
          well as USDA scientists, should be given adequate
          funding to really look into the scientific
          vehicles or scientific merits of various problems
          and develop the data that is needed to make this
          process truly science driven.
               MS. ISAACS:  Thank you, Dr. Ismail.  Right?
               DR. ISMAIL:  Yes.
               MS. ISAACS:  I'm getting good at that.
                                                        241
               Anybody else?  Come on down.
               MS. GOULD:  My name is Lauren Gould.  I'm
          from the Miami, Fort Lauderdale area.  I'm a
          member if Florida Certified Organic Growers and
          Consumers.  I'm also an extremely pesticide
          sensitive person due to working in a nursery over
          25 years ago where I received my lifetime supply
          of drift.
               My feeling from a consumer standpoint is, if
          safety is truly at the crux of this matter, why,
          besides the almighty dollar are certain
          pesticides still produced?  Specifically DDT and
          Temik?
               And we know for a fact that there are
          countries all over the world who still use DDT,
          and that consumers unknowingly, unwittingly or
          whatever, then eat products which have the DDT in
          them.
               So what I really would hope would occur is
          for there to be a list of all the countries that
          use these really detrimental, highly toxic
          pesticides to be available to the general public
          so the public can make a truly informed choice.
          See this list, see which countries are on it, and
          then decide if they want to buy that product.
                                                        242
               Further, I was really quite stunned to see,
          in a trade journal about a week or so ago from
          another country, that Temik -- which, for those
          who may be not familiar with it, it's a granular
          pesticide that, if a bird touches it, the bird
          actually cannot fly away because it will die;
          it's that potent.  I forget what the LD-50 is on
          it; it's something extraordinary.
               But also, I would hope that somehow we can
          look at some alternative safe ways to combat some
          problems that exist.
               For instance, Medfly.  That, not just the
          wholesale spraying of malathion, perhaps
          something like Neem, which has an LD-50 of zero
          because you can literally spray something with
          Neem, and then eat the fruit or the vegetable.
               Neem is, for those of you who are aware of
          that, it's -- what Neem is to India what petrie
          oil is to Australia.  It has widespread uses.
          There are Neem conferences held all over the
          world at various times of year.
               Anyway, so that's an opportunity that I
          think we're missing.  And, also, the adequate
          removal of the dropped fruit, which is perhaps a
          root cause of some of this.
                                                        243
               And I think immediately of so many starving
          people.  Why not contact somebody like Second
          Harvest, or some of these other gleaning groups,
          so that for the grove owners that think that it's
          not feasible financially for them to go out and
          pick the fruit either from the trees or from the
          ground, now maybe they have what will actually
          work as a tax benefit to them.
               There is also, as far as nutrition goes, in
          terms of organics -- I'm not really here to talk
          about organics -- but there was a study done at
          Rutgers University, which I'll be happy to give
          for the record.
               Also, I'm really concerned about adequate
          labeling.  And that concern is based in when I,
          as a consumer, go somewhere to purchase some sort
          of pesticide and I see inert ingredients.  And it
          says, inert ingredients, 97 percent.  What are
          those inerts?
               Because I've heard tell that there's some
          not too pleasant things in the inerts.  So I
          really hope that the people who are pushing for
          inert -- well, thorough labeling can play a force
          in this as well.
               Thank you very much.
                                                        244
               MS. ISAACS:  Okay.  Thank you.  Do you have
          written testimony to leave?
               MS. GOULD:  No, but I will be happy to
          provide it.
               MS. ISAACS:  Thank you very much.
               Okay.  Richard and Terry, you wanted to say
          a few words?
               MR. BARNES:  Anybody else that has any
          comments?  Have we -- okay.  Dr. Vanderveen?
               My comments, I just would like to, finally,
          to thank all of you.
               Your input is very important to us, your
          testimony here, and also written input, as Terry
          said and as Lynn said, we have until December and
          probably after that to get it to us.
               We want to hear from you; we want you to
          stay involved.  As I told several people earlier
          today, we want you to be a part of this process.
          That's the reason for these meetings, that's the
          reason that we are going down this road, that's
          the reason it's guidance.  We want you to be a
          member of the food safety team, and although most
          of you already are, but we want to keep you
          involved and make sure that we have a chance to
          keep you involved in it.
                                                        245
               So please do provide us with your input, do
          provide us with your comments.  We need that.
               Terry?
               DR. TROXELL:  Well, yes.  I wanted to second
          everything Richard has said, that we very much
          appreciate that you came out and provided these
          comments, a lot of good comments, and we'll be
          taking all of them into consideration.
               I did want to take one minute to talk about
          the rush.  Yes, it has been, at least for me,
          kind of a rush to get ready for public meeting
          and these town hall meetings.
               However, the first priority for us is
          getting it right, and you can be assured that
          we're not going to rush it out if it's not right.
               So we're going to be taking all the time we
          need, have additional comment documents available
          all along the way as necessary until we can get
          this right.
               Thank you.
               MR. VANDERVEEN:  I would just like to say we
          heard you, we'll pay attention to your comments.
          It will take us quite a while to digest them, and
          we'll be back, and hope that you will continue in
          this process, because it's absolutely critical,
                                                        246
          we hear that it's critical, and we want you to be
          aware of them.
               And we will -- at each step of the way,
          whatever happens, we will try to make you aware
          at a time when you can get back to us.
               Thank you.
               MS. ISAACS:  And thank you for coming down
          to Florida.
               And I would like to remind the folks who are
          still here, if you didn't sign in on the
          attendance sheet, please do so.  There may be
          some follow-up mailings or something, or extra
          credit points or something, I don't know.  I
          don't know.  I'm just kidding, you know.  So be
          sure so sign up so we've got a record of who
          participated.
               And thank you so much for your active
          participation today.  I didn't attend the other
          two meetings, but I'll bet you ours was the most
          interesting so far.
               So thanks a lot.  Send in your written
          comments, if you've got some, and many, many
          thanks to Clayton Hutcheson for his hospitality
          of him and his staff, and Audrey Norman
          (phonetic).
                                                        247
               And for those of you -- I know we were going
          to wrap up at 4:00 o'clock -- for those of you
          who would like to stick around and see the
          15-minute video -- is that right, Gary?
               MR. SMIGLE:  Twelve.
               MS. ISAACS:  (Continuing) Twelve-minute
          video that Gary brought.
               What is it about, Gary?
               MR. SMIGLE:  It's about the growing
          practices used in Mexico versus the United
          States.
               MS. ISAACS:  Okay.  So you're welcome to do
          so.  We will put that on now.
               And thank you again.
               (Thereupon at 4:15 p.m., the public hearing
     was concluded.)
                            -  -  -
                                                        248
                     C E R T I F I C A T E
     THE STATE OF FLORIDA,     )
     COUNTY OF PALM BEACH.     )
               I, Toni M. Salopek, Registered Professional
     Reporter, State of Florida at large, do hereby certify
     that I was authorized to and did report the above
     public hearing at the time and place herein stated,
     and that it is a true and correct transcription of my
     stenotype notes taken during said public hearing.
               I further certify that I am not attorney or
     counsel of any of the parties, nor am I a relative or
     employee of any attorney or counsel of party connected
     with the action, nor am I financially interested in
     the action.
               The foregoing certification of this
     transcript does not apply to any reproduction of the
     same by any means unless under the direct control
     and/or direction of the certifying reporter.
               IN WITNESS WHEREOF, I have hereunto set my
     hand this 12th day of December, 1997.
 
__________________________
 
                           Toni M. Salopek, Notary Public
                           in and for the State of Florida
                           My Commission Expires 12/30/99
                           My Commission #CC 510695


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