BEFORE THE DEPARTMENT OF LIVESTOCK
OF THE STATE OF
In the matter of the amendment of ARM 32.3.433 and 32.3.434 pertaining to designated surveillance area and animal identification within the DSA |
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NOTICE OF AMENDMENT |
TO: All Concerned Persons
1. On June 23, 2011, the Department of Livestock published MAR Notice No. 32-11-219 regarding the proposed amendment of the above-stated rules at page 1053 of the 2011 Montana Administrative Register, issue number 12.
2. The department has amended the above-stated rules as proposed.
3. The department has thoroughly considered the comments and testimony received. A summary of the comments received and the department's responses are as follows:
COMMENT 1: Who will pay for the tags for animals from the DSA?
RESPONSE 1:
COMMENT 2: What happens when an RFID tag falls out after an animal has crossed state lines and they don't honor a brand as identification?
RESPONSE 2: Official identification tags have a high degree of retention when properly placed. Periodically however, even a properly placed tag may not stay in the animal's ear for the entirety of its life. If an animal with a reportable disease is found in another state, all available identification, sale, and movement data will be used to trace the animal to the likely source of infection.
States that do not utilize brands may have difficulty determining the state of origin if the only identification on the animal is a brand. It is important for the state of
COMMENT 3: Why is the identification requirement suddenly changing when the only change in circumstances is bison leaving the park?
RESPONSE 3: The DSA identification requirement has been proposed in response to three states,
With a uniform DSA identification requirement, it is less likely that additional states will impose their own somewhat varying regulations.
Additionally, the proposed identification requirement is consistent with Federal Identification regulations that are scheduled for publication in 2012.
While
COMMENT 4: Cattle that have been brucellosis tested have official identification. Therefore, the impact of the identification requirement should be low.
RESPONSE 4: MDOL agrees with this comment. Brucellosis tested animals must have official individual identification. Previous regulation already required certain classes of cattle and domestic bison, such as tested animals, brucellosis vaccinated animals, and all animals 12 months of age and older within the DSA, to be identified. The animals affected by this proposed regulation are sexually intact cattle and domestic bison less than 12 months of age that have not been vaccinated and are not test eligible; typically feeder heifers.
COMMENT 5:
RESPONSE 5: The epidemiologic investigation of the 2007 brucellosis affected herd concluded that the most likely source of exposure for the index animal was in
A recent DNA "fingerprint" analysis has given us some additional insight into the 2007 affected cattle herd. This analysis states that Brucella isolated from wildlife near
Additionally, consultations with FWP suggest that there is little likelihood of brucellosis positive elk from
Lastly, MDOL analyzed over 14,000 samples from
Elk brucellosis surveillance will continue along the boundary of the DSA to gather information needed to protect
COMMENT 6: If the boundaries are changed, will the newly added DSA producers be required to test their entire herds like the current DSA producers were?
RESPONSE 6: While the rules no longer include entire herd testing, producers within or utilizing land within the proposed DSA adjustment will be subject to all current ARM, including testing prior to change of ownership and movement, brucellosis vaccination, and identification requirements. Some producers may choose to perform an entire herd test to allow for early detection of disease or to establish or maintain certified brucellosis-free herd status.
COMMENT 7: What percentage of seropositive elk found outside the current DSA will create further change in the boundaries? There needs to be some sort of standard.
RESPONSE 7: A set seroprevalence is difficult if not impossible to establish with information currently available regarding brucellosis in elk, highlighting the need for additional research and surveillance. The amount of risk that an out-of-state producer or importing state is willing to accept is generally close to zero.
COMMENT 8: If an elk is found to be seropositive for brucellosis on an initial test, but is retested at a later date and doesn't shed anymore, how will that impact FWP's role in helping producers in the DSA as well as determining how boundaries are redrawn in the future?
RESPONSE 8: Seropositive elk have been exposed to Brucella and may or may not be able to transmit the disease. At this time we are unsure of how long an exposed elk remains infective or even seropositive. Information regarding how long and when an infected elk sheds Brucella is essential and highlights the need for additional research. MDOL continues to support FWP's efforts to attempt to answer some of these questions with elk live-capture studies.
COMMENT 9: Is APHIS going to require identification on anything that moves across state lines within the next two years?
RESPONSE 9: The federal animal identification regulations will likely be published sometime in 2012. These regulations will initially require official individual identification of sexually intact cattle and domestic bison 18 months of age and older for interstate movement. Additional regulations will phase in over time to include identification of all classes and ages of cattle and domestic bison.
COMMENT 10: Old bulls should not be included in the identification requirements because tags do not stay in their ears, tattoos cannot be read after a couple of years, and they are low risk animals.
RESPONSE 10: While MDOL acknowledges that infected bulls present a low risk of brucellosis transmission, we feel that it is necessary to individually identify bulls leaving the DSA for three reasons:
1. To avoid confusion with
2. To comply with the expected federal identification rule.
3. Continued traceability and trading partner assurance. It is important for
COMMENT 11: Risk of exposure to brucellosis and timing need to be considered prior to expanding the DSA. It has been suggested that the proposed area is not as likely to have elk abortions occurring while the livestock are in the area.
RESPONSE 11: Brucella exposed and or infected elk do exist within the proposed DSA adjustment boundary and therefore it is necessary that cattle utilizing this area are included in brucellosis surveillance. Ranches within the DSA may be granted variances based on best management practices, exposure, as well as disease mitigation techniques through the development of a voluntary Brucellosis Prevention and Surveillance Herd Management Plan (Herd Plan).
COMMENT 12: I support adjusting the DSA boundary and relying on disease mitigation activities to prevent the transmission of brucellosis from wildlife to cattle.
RESPONSE 12: Brucellosis in wildlife poses a serious risk to the
COMMENT 13: There haven't been enough elk tested outside the DSA to justify the boundaries.
RESPONSE 13: A live-capture elk study was recently performed in the
This study, in combination with hunter harvest elk tests confirms the presence of brucellosis in this area.
COMMENT 14: Using county roads as the boundaries for the DSA doesn't make sense because of the changing elk movement patterns due to hunter pressure and wolf predation. It would make more sense for the boundary to be I-15 from the Montana/Idaho border to
RESPONSE 14: A recognizable boundary is important for producer awareness as well as for enforcement. The location of the boundary is based on seropositive elk locations and movement patterns obtained through consultation with FWP.
COMMENT 15: We recommend caution over adding the Ruby Mountain Area into the DSA as all kinds of new restrictions, testing, and vaccination requirements come with that change.
RESPONSE 15: It has been well documented that brucellosis exposed elk exist within the boundary described by the proposed rule. Calfhood vaccination is required countywide as well as within the DSA. Entire herd testing is no longer required for DSA producers. Additionally, MDOL supports the costs of testing and adult vaccination as much as possible through veterinarian as well as producer reimbursement.
COMMENT 16: The rule change is too extreme for just finding the increased seroprevalence in one group of animals. What if additional studies don't corroborate this finding?
RESPONSE 16: Elk surveillance will continue in locations in and around the DSA. If future data proves that brucellosis exposed elk do not exist within this boundary adjustment, then the Board of Livestock would consider adjusting the boundary accordingly.
COMMENT 17: Producers and others may not understand they are going to be impacted by the rule change and suggest that a map be developed and circulated showing the changes. Further, how many producers/cattle/bison will be affected by this change in DSA area called for in ARM 32.3.233?
RESPONSE 17: MDOL made a concerted effort to inform producers in this area and gather input. A producer meeting was held in Dillon and Alder to address the recent elk study and to speak with producers that would be affected by a DSA boundary adjustment due to the results. A map of the proposed boundary was made available to those in attendance. Additionally, a description of boundary was mailed to all DSA producers as well as many in the proposed adjustment area.
DEPARTMENT OF LIVESTOCK
/s/ Christian Mackay /s/ George H. Harris
Christian Mackay George H. Harris
Executive Officer Rule Reviewer
Department of Livestock
Certified to the Secretary of State August 1, 2011.