Monthly Archives: September 2014

Tory MPs: ‘climate change is not man made’





Only 30% of Conservative MPs accept that climate change has been proven to be caused by human activity, according to a new poll by PR Week.

The survey of 119 MPs from all parties was commissioned by the magazine from Populus to establish the attitudes of parliamentarians to climate change and environmental issues as part of a special report on the subject
 
Only 51% of MPs agree that it is an established fact that global warming is largely man made, though there are substantial differences between parties. 

Nearly three-quarters (73%) of Labour MPs agree that man-made global warming is now an established scientific fact compared with 30% of Tory MPs.

Over half (53%) of Conservative MPs agree with the statement that “it has not yet been conclusively proved that climate change is man made.” A further 18% agree that “man-made climate change is environmentalist propaganda.”

Falling off the political agenda

Climate change has fallen down the political agenda in the past five years, said half of all MPs, compared with 23% who believe the opposite. 

However, 68% of all MPs believe more should be done to raise aware of environmental issues. 

Greenpeace UK executive director John Sauven described the findings as a “huge embarrassment” for David Cameron in the run-up to the UN climate change summit in New York later this month.

“There’s virtually no scientific argument left about whether manmade climate change exists, yet two-thirds of Tory MPs are ready to ignore the science in the name of ideology”, he said. 

“There’s no reason for the laws of physics to stop at the right of centre of British politics. Climate change is real and is happening – we’re all going to pay a price for our politicians’ failure to take it seriously.”

What happened to Thatcher’s legacy?

The minister for energy and climate change, Amber Rudd, sought to dispel the impression that the Conservatives are the party of climate change denial. 

“Man-made climate change is one of the most serious threats that we face”, she said.

“In 1988 Margaret Thatcher, a scientist herself, put climate change firmly on the political agenda in her speech to the Royal Society when she said: ‘It’s we Conservatives who are not merely friends of the earth – we are its guardians and trustees for generations to come…

“‘No generation has a freehold on this earth. All we have is a life tenancy – with a full repairing lease. This Government intends to meet the terms of that lease in full.'”

PRWeek’s examination of the state of the climate change message includes the results of a separate poll of 2,000 members of the public by YouGov. 

This found that 80% agree that the climate is changing and 60% think it is the result of human activity. 

A third of voters believe concerns about climate change are exaggerated.

 

 


 

This article was originally published by PR Week.

 

 






Tory MPs: ‘climate change is not man made’





Only 30% of Conservative MPs accept that climate change has been proven to be caused by human activity, according to a new poll by PR Week.

The survey of 119 MPs from all parties was commissioned by the magazine from Populus to establish the attitudes of parliamentarians to climate change and environmental issues as part of a special report on the subject
 
Only 51% of MPs agree that it is an established fact that global warming is largely man made, though there are substantial differences between parties. 

Nearly three-quarters (73%) of Labour MPs agree that man-made global warming is now an established scientific fact compared with 30% of Tory MPs.

Over half (53%) of Conservative MPs agree with the statement that “it has not yet been conclusively proved that climate change is man made.” A further 18% agree that “man-made climate change is environmentalist propaganda.”

Falling off the political agenda

Climate change has fallen down the political agenda in the past five years, said half of all MPs, compared with 23% who believe the opposite. 

However, 68% of all MPs believe more should be done to raise aware of environmental issues. 

Greenpeace UK executive director John Sauven described the findings as a “huge embarrassment” for David Cameron in the run-up to the UN climate change summit in New York later this month.

“There’s virtually no scientific argument left about whether manmade climate change exists, yet two-thirds of Tory MPs are ready to ignore the science in the name of ideology”, he said. 

“There’s no reason for the laws of physics to stop at the right of centre of British politics. Climate change is real and is happening – we’re all going to pay a price for our politicians’ failure to take it seriously.”

What happened to Thatcher’s legacy?

The minister for energy and climate change, Amber Rudd, sought to dispel the impression that the Conservatives are the party of climate change denial. 

“Man-made climate change is one of the most serious threats that we face”, she said.

“In 1988 Margaret Thatcher, a scientist herself, put climate change firmly on the political agenda in her speech to the Royal Society when she said: ‘It’s we Conservatives who are not merely friends of the earth – we are its guardians and trustees for generations to come…

“‘No generation has a freehold on this earth. All we have is a life tenancy – with a full repairing lease. This Government intends to meet the terms of that lease in full.'”

PRWeek’s examination of the state of the climate change message includes the results of a separate poll of 2,000 members of the public by YouGov. 

This found that 80% agree that the climate is changing and 60% think it is the result of human activity. 

A third of voters believe concerns about climate change are exaggerated.

 

 


 

This article was originally published by PR Week.

 

 






Yes or No, we need democratic and constitutional reform





Only recently, waking up to the possibility of a Yes majority, have UK politicians begun thinking about the implications of Scottish independence for ‘residual UK’ – rUK for short.

Amid speculation about what to do about Westminster MPs representing Scottish seats (who are predominantly Labour), little thought is being given to the great opportunities (and challenges) for the future of British democracy in rUK.

Once the Scottish decision is known, we should push for negotiations on what domestic, national and international roles and institutions UK/rUK needs to put in place for a renewed and sustainable democratic future.

If Scotland votes Yes

As Scotland has done through the referendum debates, we must initiate discussions about what kind of Britain we want for the future. This in itself represents an exciting and unprecedented opportunity for civic engagement and reflection.

Negotiations should aspire – at a minimum – to grant citizens:

  • a written constitution, with a form of proportional representation for Westminster parliamentary seats
  • the right of recall of MPs by constituents;
  • a directly elected Second Chamber to replace the anomalous House of Lords;
  • the option for regions to take up greater regional representation and autonomy through directly-elected assemblies modelled roughly on the Welsh Assembly, probably based roughly on the constituencies used for European Parliament elections;
  • and a citizens’ bill of rights.

Meanwhile, the Welsh should be offered the option of turning their Assembly into a Welsh Parliament.

But such a package, with its list of key democratic reforms, is a bare minimum. Citizens need to be empowered further, in a way that has never yet happened in a Britain of subjects rather than citizens.

Examples of how that might happen include:

  • Enhanced powers for local government (including, to rein in harmful business activity);
  • proportional representation for local government elections;
  • experimentation with more participatory democracy (such as participatory budgeting);
  • and a serious effort to represent and adequately protect unborn future generations.

The negotiation process should involve a range of stakeholders as well as MPs and constitutional lawyers. And it should focus on an inclusive and deliberative Constitutional Convention.

The Constitution should then either be offered to the British public to be adopted by referendum, or should be adopted by the Parliament elected in May 2015 – with an understanding at the time of the election that those being elected were being elected with this as a key, defining task.

The next step would be to adopt an appropriate form of proportional representation to provide fairer and better political and regional representation in Westminster – and in any and all regional or national assemblies and parliaments.

The 2015 Parliament would then be dissolved and new elections held under the new electoral system.

If Scotland votes No?

After insisting on a binary yes-or-no choice, refusing to allow a ‘Devo-max’ option, the UK Conservative-LibDem government together with Labour are now scrambling to give Scottish voters an incentive to vote No by offering some form of ‘Devo-max’ under a reformed UK arrangement.

What precisely would still be on offer if the No vote wins is debatable, though it seems increasingly likely that Wesminster will be held to these promises of ‘Devo-max’, in the event of a No vote, especially a narrow one on a high turnout.

Progressives like the Greens – the only British political party that backs independence both north and south of the border – and Compass (see here and here) need to address Scottish discontent with the status quo – and its causes.

They must also recognise that serious democratic deficits exist elsewhere: in Wales, most if not all English regions, and Northern Ireland. Not to mention local government everywhere.

The ‘West Lothian question’

So there is again a strong case for a Constitutional Convention. The Welsh are pressing this case, and rightly so. Interestingly, it is now being taken up in Scotland too.

Our strong belief is that such a Convention should be deliberative, and not only composed of elites. It should take as a rough model the impressive and inclusive deliberative process that took place in Iceland after the financial crash there.

One key reason why a Constitutional Convention is essential in the event of a No vote is the ‘West Lothian question‘: If a Scottish Parliament decides Scotland’s policies on a host of issues, how come Scottish MPs can vote on the same issues in the UK Parliament, determining policies in England, Wales or Northern Ireland?

With Devo-Max in Scotland, this question becomes completely unavoidable. The question should be settled – in a manner that involves the public, and is not merely imposed upon them.

Thus the undeniable need for a deliberative, inclusive, non-elite Constitutional Convention.

Yes or no, we need these reforms

Thus the upshot is that, whether the vote this week is Yes or No, the UK or rUK ought to have a Constitutional Convention. And that Constitutional Convention ought to be citizen-based and citizen-led rather than elite-based.

This is an exciting conclusion, and an inspiring prospect – a unique opportunity to address Britain’s wider crisis of political and democratic legitimacy.

 


 

Rebecca Johnson FRSA is a feminist peace campaigner and academic author. She is the Director of the Acronym Institute for Disarmament Diplomacy, CND Vice-President, and a member of Women in Black.

Rupert Read is Green Party Transport Spokesperson and Chair of the Green House economics think tank.

Website: www.rupertread.net.

Twitter: @GreenRupertRead (political) or @RupertRead (personal).

More articles by Rupert Read on The Ecologist.

 

 






Toxic glyphosate herbicides fly under the EU’s regulatory radar





Earlier this year, Germany declared the active substance glyphosate, a component of many herbicides, as ‘safe’ in its draft re-assessment report.

Germany’s words have weight as it is acting as the Rapporteur Member State for this active substance. But an investigation into the report has exposed another story – it is far from ‘safe’.

It is well known that glyphosate is one of the most tested active substances, and is seen as a simple and cost-effective way of controlling weeds in a variety of situatuions.

Glyphosate is the active substance in the most widely used herbicide worldwide called RoundUp®, sales were valued at US$ 5.46 bn in 2012 and are expected to reach US$ 8.79bn [i] by 2019; it is big business.

However, the active substance alone is not sprayed by farmers, councils or ‘you’ in gardens and driveways. Because to work efficiently, it needs additional chemicals called ‘surfactants’.

A shocking omission

The widespread use of glyphosate greatly increases the chances that it will be ingested by humans and farm animals. It is now used to desiccate cereal, pulse and oilseed crops prior to harvest – where it produces residues in some of our staple foods [ii]

It is also used extensively on GM crops engineered to be ‘Roundup Ready’. This does not (yet) take place in the EU, however such crops dominatye in North and South America and account much of the soy and maize imported to the EU for animal feed.

But whilst active substances are tested and regulated on a European level, pesticide formulations, such as Roundup®, are not.

Because of an initial suspicion [iii] that the surfactant called POEA (polyethoxylated tallow amine) might be toxic for humans, animals and the environment, the German authorities have taken their own protective action.

In the meantime, the EU has failed to take any action at all. “Given the alarming results of independent studies [iv], this is simply shocking”, says Martin Häusling, Member of the Greens / European Free Alliance Group.

“Even though I have been criticising The European Food and Safety Authority for many years because of its conflict of interest with the agricultural industry, it would be wrong to blame them alone. The national authorities play a big role in this process.”

But in Germany, things are different

Since the late 1990’s, the German Federal Institute for Health Protection of Consumers and Veterinary Medicine (BgVV) has called upon Member States in the European Union not to accept glyphosate products containing the surfactant POEA based on the high cytotoxicity [v] of the compounds.

However Monsanto and Cheminova – who at the time were jointly submitting glyphosate for re-approval – quickly disputed all the evidence that was presented [vi]. A 1999 report stated:

“Accordingly, in the formulations for which toxicological data has been submitted as part of the joint dossier of Monsanto and Cheminova, surfactants of this type are not contained any more.” [vii].

But the Agro-Chemical companies continued to manufacture and sell products containing POEA. A spokesperson of Monsanto praised surfactants like POEA because “the amount of active ingredient needed per treated area can be reduced.”

He also stressed that “the development of new products requires several years of research and development and review by competent public authorities and Europe has some of the highest standards in the world.”

These “high standards” seemingly have started to fail, because since 1999 there was scientific consensus that the single active substance approach to risk assessment was flawed.

Finally in 2005 the EU revised the Residue Directive and changed it into Regulation (396/2005) and made Cumulative Risk Assessment mandatory “as soon as methods to assess such effects are available [art 14.b].” [viii]

The next step would be a framework developed by European Food and Safety Authority. But very little has happened since then.

The ‘single active substance’ approach to risk assessment is flawed

By 2008, more evidence on this specific surfactant was mounting. A paper by J. M Brausch et al. in 2007 [ix] “found all POEA formulations to be extremely toxic”.

This prompted the German Environmental Agency (UBA) to request more study data specifically about chronic toxicity. What followed was a “very intense professional dispute” [x] between the UBA and agro-chemical companies, as a source from UBA stated.

The result: The companies did not submit any data, but agreed to replace POEA in the glyphosate formulations – however this resulted in the UBA still not having the data to prove chronic toxicity.

Two years later the German Federal Institute for Risk Assessment (BfR) carried out its own toxicological evaluation of the glyphosate-POEA formulation, after a German forestry worker developed chest pain with rapidly increasing severe respiratory distress and fever up to approximately 38°C.

His pathology revealed “toxic inflammation of the lungs” that was significantly different from bacterial infection [xi].

This resulted in the German authorities prohibiting the usage of certain glyphosate formulations with a high content of POEA for the production of animal feeds in order to avoid a risk of toxins being passed through the food chain [xii]. But how are these formulations tested?

Each time glyphosate is risk assessed in the EU it is done by the presentation of one ‘representative formulation’ from the vast quantity available on the market [xiii].

This time, the representative formulation that has been presented by the agro-chemical industries European Glyphosate Task Force (GTF), does not contain the surfactant POEA [xiv]. Only by coincidence? Or was it the least toxic formulation that the GTF could find?

Germany acts – but key data remain under lock and key

This year the German Federal Institute for Risk Assessment and other German safety authorities published their draft re-assessment report (RAR) on glyphosate and the representative formulation, in the process re-assessing hundreds of studies and public domain literature.

Then the UBA did something exceptional. They included a chapter ‘Further toxicological data for other potential co-formulants’ [xv] about the surfactant POEA to make sure all Member States are informed that nearly all toxicological endpoints investigated are clearly more toxic than glyphosate alone.

By the end of this year all formulations containing POEA will have been removed from the German market. So what happened in Germany for them to move from ‘restricted’ to formally ‘banned’?

Answer: we don’t know. All requests for a list of which companies had to replace POEA, exactly when, and which surfactants are now used instead has been declined by German authorities on the basis that the information constitutes ‘Trade Secrets’.

“The protection of public health must have the highest priority – and not the interests of companies or authorities”, commented Martin Häusling. “The public must have the right to check that. The European Precautionary Principle is even as important as the Freedom of Information.”

What about the rest of us?

There are only 91 glyphosate products registered in Germany [xvi] – of which only one remaining product contains POEA, which will be removed by the end of the year.

But there are 424 glyphosate products registered in the UK [xvii] and it is not known exactly how many of these products contain POEA). Rosate 36 is one of UK’s most widely used herbicides in agricultural, horticultural, industrial, amenity and forestry herbicides in use that contain the surfactant POEA.

The discussion about the surfactant POEA shows that the classic method of testing and regulating individual active substances for toxicity does not work. Or as a source from the BfR said:

“We should have a deeper look at co-formulants in the future. The formulation of glyphosate and POEA is an important lesson in that there might be specific surfactants, which can increase the toxicity of the active substance. We don’t assume this is common, but it is an increasingly important factor within the field of toxicity which we are aware of.”

But this story is not about just one surfactant. What is now known is that surfactants can be synergistic with glyphosate. When chemicals are synergistic, the combined effect of two chemicals is much greater than the sum of the effects of each agent given alone.

Even Monsanto say in one of their own patents [xviii]:

“By exploiting a newly discovered synergistic interaction between two classes of surfactant applied together with the glyphosate, surprisingly enhanced herbicidal effectiveness is obtained by this method.”

But the formulations remain secret!

Due to ‘data confidentiality’ or putting it bluntly ‘data secrets’, it is not known what these surfactants are, how much more toxic the formulations might be, or even how many different potentially toxic products there are.

The European Court of Justice ruled [xix] in 2013 that the European Commission should disclose industry safety and compositional studies on the pesticide glyphosate, which are currently hidden from the public under data secrets.

The Commission has appealed against the ruling [xx], but Croplife America, The National Association of Manufacturers of the United States and The American Chemistry Council have submitted an application to intervene [xxi].

It could be viewed as significant that the EU is protecting industry, by not revealing the content of emissions of pesticide formulations into the environment.

Pesticide formulations – as the German Safety authorities explained – are regulated on a national level. But the scientific studies that are presented for approval are carried out by the manufacturers themselves.

Only the authorities have access to these studies and have not been verified by independent scientists.

No EU framework for assessing formulations

“Any regulatory system that treats chemicals in isolation is necessarily flawed”, commented Zac Goldsmith, the Conservative MP for Richmond Park & North Kingston.

“Chemicals interact with others when they’re put out into the environment, and they interact when mixed with others in different chemical formulas.”

“A proper, health-oriented regulatory system must look at the synergistic effects of chemical mixtures, and on that basis what we have at present falls far short.”

The bad news is there is still no legal framework at EU level to assess formulations on a regulatory basis. The EU’s own documentation admits:

Current EU legislation does not provide for a comprehensive and integrated assessment of cumulative effects of different chemicals taking into account different routes of exposure“. [xxii]

It is known that UBA reported POEA in 2012 as an “unacceptable co-formulant” for a so called ‘negative list’ [xxiii] to the European Commission. Again nothing happened. A spokesperson for the European Commission has only revealed that “The European Commission is currently preparing a request to the EFSA about POEA.”

It has taken 15 years from initial suspicion that a glyphosate formulation was toxic, to approach a situation that it could be banned within the EU, and not just one Member State.

Tougher pesticide regulation of surfactants and formulations must be the next step.

 


 

Pete Farrer and Marianne Falck are investigative journalists and  film producers, collaborating on the full length investigative documentary Hungry for Pesticides, currently in production.

Pete is also a farmer – an experience which led him to investigate the entire topic of pesticides, herbicides and their health impacts.

This article is a part of an investigation for the film. Please support the investigation and the film.

References

[i] According to a new market report published by Transparency Market Research, ‘Glyphosate Market for Genetically Modified and Conventional Crops – Global Industry Analysis, Size, Share, Growth, Trends and Forecast 2013 – 2019‘.

[ii]http://www.pesticides.gov.uk/Resources/CRD/PRiF/Documents/Results%20and%20Reports/2013/BNA%20Q4%202013%20FINAL.pdf

[iii] http://www.scribd.com/doc/238089929/Glyphosate-RAR-08-Volume-3CA-CP-B-6-2013-12-18-San p799 – German forestry worker – Pers comm (UBA)

[iv] Summary of the relevant literature on surface active substances in glyphosate-based formulations RAR – http://www.scribd.com/doc/238090225/Glyphosate-RAR-13-Volume-3CA-CP-B-9-Appendix-2013-12-18

[v] http://www.moleculardevices.com/applications/areas-research/cytotoxicity

[vi] http://www.scribd.com/doc/238082880/FULLREPORT-GLYPHOSAT-05 p20-21

[vii] http://www.scribd.com/doc/238082880/FULLREPORT-GLYPHOSAT-05 p20

[viii] http://eur-lex.europa.eu/LexUriServ/LexUriServ.do?uri=OJ:L:2005:070:0001:0016:en:PDF

[ix] Brausch, J. M., & Smith, P. N. 2007. Toxicity of Three Polyethoxylated Tallowamine Surfactant Formulations to Laboratory and Field Collected Fairy Shrimp, Thamnocephalus platyurus. Arch Environ Contam Toxicol 52(2), 217-221

[x] Pers comm. (UBA)

[xi] http://www.scribd.com/doc/238089929/Glyphosate-RAR-08-Volume-3CA-CP-B-6-2013-12-18-San p799 – German forestry worker – Pers comm (UBA)

[xii] Pers comm. (BVL)

[xiii] https://secure.pesticides.gov.uk/pestreg/prodsearch.asp

[xiv] http://www.scribd.com/doc/238082730/Glyphosate-RAR-01-Volume-1-2013-12-18-San p98

[xv] http://www.scribd.com/doc/238089929/Glyphosate-RAR-08-Volume-3CA-CP-B-6-2013-12-18-San p835 B.6.13.3 Further toxicological data for other potential co-formulants

[xvi] https://portal.bvl.bund.de/psm/jsp/

[xvii] https://secure.pesticides.gov.uk/pestreg/prodsearch.asp

[xviii] http://www.google.com/patents/WO2001017358A1?cl=en

[xix] http://curia.europa.eu/juris/document/document.jsf?text=&docid=142701&pageIndex=0&doclang=en&mode=lst&dir=&occ=first&part=1&cid=59034

[xx] http://www.ashurst.com/publication-item.aspx?id_Content=9722

[xxi] http://www.nam.org/~/media/18A3D55120154CD790089B40F1611C32/European_Commn_v_Stichting_Greenpeace_intervention.pdf

[xxii] http://eur-lex.europa.eu/legal-content/EN/TXT/HTML/?uri=CELEX:52012DC0252&from=EN

[xxiii] [REG] 1107/2009 – Article 27: Co-formulants – http://www.euissuetracker.com/en/focus/Pages/Plant-Protection-Products-Regulation.aspx

 






Toxic glyphosate herbicides fly under the EU’s regulatory radar





Earlier this year, Germany declared the active substance glyphosate, a component of many herbicides, as ‘safe’ in its draft re-assessment report.

Germany’s words have weight as it is acting as the Rapporteur Member State for this active substance. But an investigation into the report has exposed another story – it is far from ‘safe’.

It is well known that glyphosate is one of the most tested active substances, and is seen as a simple and cost-effective way of controlling weeds in a variety of situatuions.

Glyphosate is the active substance in the most widely used herbicide worldwide called RoundUp®, sales were valued at US$ 5.46 bn in 2012 and are expected to reach US$ 8.79bn [i] by 2019; it is big business.

However, the active substance alone is not sprayed by farmers, councils or ‘you’ in gardens and driveways. Because to work efficiently, it needs additional chemicals called ‘surfactants’.

A shocking omission

The widespread use of glyphosate greatly increases the chances that it will be ingested by humans and farm animals. It is now used to desiccate cereal, pulse and oilseed crops prior to harvest – where it produces residues in some of our staple foods [ii]

It is also used extensively on GM crops engineered to be ‘Roundup Ready’. This does not (yet) take place in the EU, however such crops dominatye in North and South America and account much of the soy and maize imported to the EU for animal feed.

But whilst active substances are tested and regulated on a European level, pesticide formulations, such as Roundup®, are not.

Because of an initial suspicion [iii] that the surfactant called POEA (polyethoxylated tallow amine) might be toxic for humans, animals and the environment, the German authorities have taken their own protective action.

In the meantime, the EU has failed to take any action at all. “Given the alarming results of independent studies [iv], this is simply shocking”, says Martin Häusling, Member of the Greens / European Free Alliance Group.

“Even though I have been criticising The European Food and Safety Authority for many years because of its conflict of interest with the agricultural industry, it would be wrong to blame them alone. The national authorities play a big role in this process.”

But in Germany, things are different

Since the late 1990’s, the German Federal Institute for Health Protection of Consumers and Veterinary Medicine (BgVV) has called upon Member States in the European Union not to accept glyphosate products containing the surfactant POEA based on the high cytotoxicity [v] of the compounds.

However Monsanto and Cheminova – who at the time were jointly submitting glyphosate for re-approval – quickly disputed all the evidence that was presented [vi]. A 1999 report stated:

“Accordingly, in the formulations for which toxicological data has been submitted as part of the joint dossier of Monsanto and Cheminova, surfactants of this type are not contained any more.” [vii].

But the Agro-Chemical companies continued to manufacture and sell products containing POEA. A spokesperson of Monsanto praised surfactants like POEA because “the amount of active ingredient needed per treated area can be reduced.”

He also stressed that “the development of new products requires several years of research and development and review by competent public authorities and Europe has some of the highest standards in the world.”

These “high standards” seemingly have started to fail, because since 1999 there was scientific consensus that the single active substance approach to risk assessment was flawed.

Finally in 2005 the EU revised the Residue Directive and changed it into Regulation (396/2005) and made Cumulative Risk Assessment mandatory “as soon as methods to assess such effects are available [art 14.b].” [viii]

The next step would be a framework developed by European Food and Safety Authority. But very little has happened since then.

The ‘single active substance’ approach to risk assessment is flawed

By 2008, more evidence on this specific surfactant was mounting. A paper by J. M Brausch et al. in 2007 [ix] “found all POEA formulations to be extremely toxic”.

This prompted the German Environmental Agency (UBA) to request more study data specifically about chronic toxicity. What followed was a “very intense professional dispute” [x] between the UBA and agro-chemical companies, as a source from UBA stated.

The result: The companies did not submit any data, but agreed to replace POEA in the glyphosate formulations – however this resulted in the UBA still not having the data to prove chronic toxicity.

Two years later the German Federal Institute for Risk Assessment (BfR) carried out its own toxicological evaluation of the glyphosate-POEA formulation, after a German forestry worker developed chest pain with rapidly increasing severe respiratory distress and fever up to approximately 38°C.

His pathology revealed “toxic inflammation of the lungs” that was significantly different from bacterial infection [xi].

This resulted in the German authorities prohibiting the usage of certain glyphosate formulations with a high content of POEA for the production of animal feeds in order to avoid a risk of toxins being passed through the food chain [xii]. But how are these formulations tested?

Each time glyphosate is risk assessed in the EU it is done by the presentation of one ‘representative formulation’ from the vast quantity available on the market [xiii].

This time, the representative formulation that has been presented by the agro-chemical industries European Glyphosate Task Force (GTF), does not contain the surfactant POEA [xiv]. Only by coincidence? Or was it the least toxic formulation that the GTF could find?

Germany acts – but key data remain under lock and key

This year the German Federal Institute for Risk Assessment and other German safety authorities published their draft re-assessment report (RAR) on glyphosate and the representative formulation, in the process re-assessing hundreds of studies and public domain literature.

Then the UBA did something exceptional. They included a chapter ‘Further toxicological data for other potential co-formulants’ [xv] about the surfactant POEA to make sure all Member States are informed that nearly all toxicological endpoints investigated are clearly more toxic than glyphosate alone.

By the end of this year all formulations containing POEA will have been removed from the German market. So what happened in Germany for them to move from ‘restricted’ to formally ‘banned’?

Answer: we don’t know. All requests for a list of which companies had to replace POEA, exactly when, and which surfactants are now used instead has been declined by German authorities on the basis that the information constitutes ‘Trade Secrets’.

“The protection of public health must have the highest priority – and not the interests of companies or authorities”, commented Martin Häusling. “The public must have the right to check that. The European Precautionary Principle is even as important as the Freedom of Information.”

What about the rest of us?

There are only 91 glyphosate products registered in Germany [xvi] – of which only one remaining product contains POEA, which will be removed by the end of the year.

But there are 424 glyphosate products registered in the UK [xvii] and it is not known exactly how many of these products contain POEA). Rosate 36 is one of UK’s most widely used herbicides in agricultural, horticultural, industrial, amenity and forestry herbicides in use that contain the surfactant POEA.

The discussion about the surfactant POEA shows that the classic method of testing and regulating individual active substances for toxicity does not work. Or as a source from the BfR said:

“We should have a deeper look at co-formulants in the future. The formulation of glyphosate and POEA is an important lesson in that there might be specific surfactants, which can increase the toxicity of the active substance. We don’t assume this is common, but it is an increasingly important factor within the field of toxicity which we are aware of.”

But this story is not about just one surfactant. What is now known is that surfactants can be synergistic with glyphosate. When chemicals are synergistic, the combined effect of two chemicals is much greater than the sum of the effects of each agent given alone.

Even Monsanto say in one of their own patents [xviii]:

“By exploiting a newly discovered synergistic interaction between two classes of surfactant applied together with the glyphosate, surprisingly enhanced herbicidal effectiveness is obtained by this method.”

But the formulations remain secret!

Due to ‘data confidentiality’ or putting it bluntly ‘data secrets’, it is not known what these surfactants are, how much more toxic the formulations might be, or even how many different potentially toxic products there are.

The European Court of Justice ruled [xix] in 2013 that the European Commission should disclose industry safety and compositional studies on the pesticide glyphosate, which are currently hidden from the public under data secrets.

The Commission has appealed against the ruling [xx], but Croplife America, The National Association of Manufacturers of the United States and The American Chemistry Council have submitted an application to intervene [xxi].

It could be viewed as significant that the EU is protecting industry, by not revealing the content of emissions of pesticide formulations into the environment.

Pesticide formulations – as the German Safety authorities explained – are regulated on a national level. But the scientific studies that are presented for approval are carried out by the manufacturers themselves.

Only the authorities have access to these studies and have not been verified by independent scientists.

No EU framework for assessing formulations

“Any regulatory system that treats chemicals in isolation is necessarily flawed”, commented Zac Goldsmith, the Conservative MP for Richmond Park & North Kingston.

“Chemicals interact with others when they’re put out into the environment, and they interact when mixed with others in different chemical formulas.”

“A proper, health-oriented regulatory system must look at the synergistic effects of chemical mixtures, and on that basis what we have at present falls far short.”

The bad news is there is still no legal framework at EU level to assess formulations on a regulatory basis. The EU’s own documentation admits:

Current EU legislation does not provide for a comprehensive and integrated assessment of cumulative effects of different chemicals taking into account different routes of exposure“. [xxii]

It is known that UBA reported POEA in 2012 as an “unacceptable co-formulant” for a so called ‘negative list’ [xxiii] to the European Commission. Again nothing happened. A spokesperson for the European Commission has only revealed that “The European Commission is currently preparing a request to the EFSA about POEA.”

It has taken 15 years from initial suspicion that a glyphosate formulation was toxic, to approach a situation that it could be banned within the EU, and not just one Member State.

Tougher pesticide regulation of surfactants and formulations must be the next step.

 


 

Pete Farrer and Marianne Falck are investigative journalists and  film producers, collaborating on the full length investigative documentary Hungry for Pesticides, currently in production.

Pete is also a farmer – an experience which led him to investigate the entire topic of pesticides, herbicides and their health impacts.

This article is a part of an investigation for the film. Please support the investigation and the film.

References

[i] According to a new market report published by Transparency Market Research, ‘Glyphosate Market for Genetically Modified and Conventional Crops – Global Industry Analysis, Size, Share, Growth, Trends and Forecast 2013 – 2019‘.

[ii]http://www.pesticides.gov.uk/Resources/CRD/PRiF/Documents/Results%20and%20Reports/2013/BNA%20Q4%202013%20FINAL.pdf

[iii] http://www.scribd.com/doc/238089929/Glyphosate-RAR-08-Volume-3CA-CP-B-6-2013-12-18-San p799 – German forestry worker – Pers comm (UBA)

[iv] Summary of the relevant literature on surface active substances in glyphosate-based formulations RAR – http://www.scribd.com/doc/238090225/Glyphosate-RAR-13-Volume-3CA-CP-B-9-Appendix-2013-12-18

[v] http://www.moleculardevices.com/applications/areas-research/cytotoxicity

[vi] http://www.scribd.com/doc/238082880/FULLREPORT-GLYPHOSAT-05 p20-21

[vii] http://www.scribd.com/doc/238082880/FULLREPORT-GLYPHOSAT-05 p20

[viii] http://eur-lex.europa.eu/LexUriServ/LexUriServ.do?uri=OJ:L:2005:070:0001:0016:en:PDF

[ix] Brausch, J. M., & Smith, P. N. 2007. Toxicity of Three Polyethoxylated Tallowamine Surfactant Formulations to Laboratory and Field Collected Fairy Shrimp, Thamnocephalus platyurus. Arch Environ Contam Toxicol 52(2), 217-221

[x] Pers comm. (UBA)

[xi] http://www.scribd.com/doc/238089929/Glyphosate-RAR-08-Volume-3CA-CP-B-6-2013-12-18-San p799 – German forestry worker – Pers comm (UBA)

[xii] Pers comm. (BVL)

[xiii] https://secure.pesticides.gov.uk/pestreg/prodsearch.asp

[xiv] http://www.scribd.com/doc/238082730/Glyphosate-RAR-01-Volume-1-2013-12-18-San p98

[xv] http://www.scribd.com/doc/238089929/Glyphosate-RAR-08-Volume-3CA-CP-B-6-2013-12-18-San p835 B.6.13.3 Further toxicological data for other potential co-formulants

[xvi] https://portal.bvl.bund.de/psm/jsp/

[xvii] https://secure.pesticides.gov.uk/pestreg/prodsearch.asp

[xviii] http://www.google.com/patents/WO2001017358A1?cl=en

[xix] http://curia.europa.eu/juris/document/document.jsf?text=&docid=142701&pageIndex=0&doclang=en&mode=lst&dir=&occ=first&part=1&cid=59034

[xx] http://www.ashurst.com/publication-item.aspx?id_Content=9722

[xxi] http://www.nam.org/~/media/18A3D55120154CD790089B40F1611C32/European_Commn_v_Stichting_Greenpeace_intervention.pdf

[xxii] http://eur-lex.europa.eu/legal-content/EN/TXT/HTML/?uri=CELEX:52012DC0252&from=EN

[xxiii] [REG] 1107/2009 – Article 27: Co-formulants – http://www.euissuetracker.com/en/focus/Pages/Plant-Protection-Products-Regulation.aspx

 






Toxic glyphosate herbicides fly under the EU’s regulatory radar





Earlier this year, Germany declared the active substance glyphosate, a component of many herbicides, as ‘safe’ in its draft re-assessment report.

Germany’s words have weight as it is acting as the Rapporteur Member State for this active substance. But an investigation into the report has exposed another story – it is far from ‘safe’.

It is well known that glyphosate is one of the most tested active substances, and is seen as a simple and cost-effective way of controlling weeds in a variety of situatuions.

Glyphosate is the active substance in the most widely used herbicide worldwide called RoundUp®, sales were valued at US$ 5.46 bn in 2012 and are expected to reach US$ 8.79bn [i] by 2019; it is big business.

However, the active substance alone is not sprayed by farmers, councils or ‘you’ in gardens and driveways. Because to work efficiently, it needs additional chemicals called ‘surfactants’.

A shocking omission

The widespread use of glyphosate greatly increases the chances that it will be ingested by humans and farm animals. It is now used to desiccate cereal, pulse and oilseed crops prior to harvest – where it produces residues in some of our staple foods [ii]

It is also used extensively on GM crops engineered to be ‘Roundup Ready’. This does not (yet) take place in the EU, however such crops dominatye in North and South America and account much of the soy and maize imported to the EU for animal feed.

But whilst active substances are tested and regulated on a European level, pesticide formulations, such as Roundup®, are not.

Because of an initial suspicion [iii] that the surfactant called POEA (polyethoxylated tallow amine) might be toxic for humans, animals and the environment, the German authorities have taken their own protective action.

In the meantime, the EU has failed to take any action at all. “Given the alarming results of independent studies [iv], this is simply shocking”, says Martin Häusling, Member of the Greens / European Free Alliance Group.

“Even though I have been criticising The European Food and Safety Authority for many years because of its conflict of interest with the agricultural industry, it would be wrong to blame them alone. The national authorities play a big role in this process.”

But in Germany, things are different

Since the late 1990’s, the German Federal Institute for Health Protection of Consumers and Veterinary Medicine (BgVV) has called upon Member States in the European Union not to accept glyphosate products containing the surfactant POEA based on the high cytotoxicity [v] of the compounds.

However Monsanto and Cheminova – who at the time were jointly submitting glyphosate for re-approval – quickly disputed all the evidence that was presented [vi]. A 1999 report stated:

“Accordingly, in the formulations for which toxicological data has been submitted as part of the joint dossier of Monsanto and Cheminova, surfactants of this type are not contained any more.” [vii].

But the Agro-Chemical companies continued to manufacture and sell products containing POEA. A spokesperson of Monsanto praised surfactants like POEA because “the amount of active ingredient needed per treated area can be reduced.”

He also stressed that “the development of new products requires several years of research and development and review by competent public authorities and Europe has some of the highest standards in the world.”

These “high standards” seemingly have started to fail, because since 1999 there was scientific consensus that the single active substance approach to risk assessment was flawed.

Finally in 2005 the EU revised the Residue Directive and changed it into Regulation (396/2005) and made Cumulative Risk Assessment mandatory “as soon as methods to assess such effects are available [art 14.b].” [viii]

The next step would be a framework developed by European Food and Safety Authority. But very little has happened since then.

The ‘single active substance’ approach to risk assessment is flawed

By 2008, more evidence on this specific surfactant was mounting. A paper by J. M Brausch et al. in 2007 [ix] “found all POEA formulations to be extremely toxic”.

This prompted the German Environmental Agency (UBA) to request more study data specifically about chronic toxicity. What followed was a “very intense professional dispute” [x] between the UBA and agro-chemical companies, as a source from UBA stated.

The result: The companies did not submit any data, but agreed to replace POEA in the glyphosate formulations – however this resulted in the UBA still not having the data to prove chronic toxicity.

Two years later the German Federal Institute for Risk Assessment (BfR) carried out its own toxicological evaluation of the glyphosate-POEA formulation, after a German forestry worker developed chest pain with rapidly increasing severe respiratory distress and fever up to approximately 38°C.

His pathology revealed “toxic inflammation of the lungs” that was significantly different from bacterial infection [xi].

This resulted in the German authorities prohibiting the usage of certain glyphosate formulations with a high content of POEA for the production of animal feeds in order to avoid a risk of toxins being passed through the food chain [xii]. But how are these formulations tested?

Each time glyphosate is risk assessed in the EU it is done by the presentation of one ‘representative formulation’ from the vast quantity available on the market [xiii].

This time, the representative formulation that has been presented by the agro-chemical industries European Glyphosate Task Force (GTF), does not contain the surfactant POEA [xiv]. Only by coincidence? Or was it the least toxic formulation that the GTF could find?

Germany acts – but key data remain under lock and key

This year the German Federal Institute for Risk Assessment and other German safety authorities published their draft re-assessment report (RAR) on glyphosate and the representative formulation, in the process re-assessing hundreds of studies and public domain literature.

Then the UBA did something exceptional. They included a chapter ‘Further toxicological data for other potential co-formulants’ [xv] about the surfactant POEA to make sure all Member States are informed that nearly all toxicological endpoints investigated are clearly more toxic than glyphosate alone.

By the end of this year all formulations containing POEA will have been removed from the German market. So what happened in Germany for them to move from ‘restricted’ to formally ‘banned’?

Answer: we don’t know. All requests for a list of which companies had to replace POEA, exactly when, and which surfactants are now used instead has been declined by German authorities on the basis that the information constitutes ‘Trade Secrets’.

“The protection of public health must have the highest priority – and not the interests of companies or authorities”, commented Martin Häusling. “The public must have the right to check that. The European Precautionary Principle is even as important as the Freedom of Information.”

What about the rest of us?

There are only 91 glyphosate products registered in Germany [xvi] – of which only one remaining product contains POEA, which will be removed by the end of the year.

But there are 424 glyphosate products registered in the UK [xvii] and it is not known exactly how many of these products contain POEA). Rosate 36 is one of UK’s most widely used herbicides in agricultural, horticultural, industrial, amenity and forestry herbicides in use that contain the surfactant POEA.

The discussion about the surfactant POEA shows that the classic method of testing and regulating individual active substances for toxicity does not work. Or as a source from the BfR said:

“We should have a deeper look at co-formulants in the future. The formulation of glyphosate and POEA is an important lesson in that there might be specific surfactants, which can increase the toxicity of the active substance. We don’t assume this is common, but it is an increasingly important factor within the field of toxicity which we are aware of.”

But this story is not about just one surfactant. What is now known is that surfactants can be synergistic with glyphosate. When chemicals are synergistic, the combined effect of two chemicals is much greater than the sum of the effects of each agent given alone.

Even Monsanto say in one of their own patents [xviii]:

“By exploiting a newly discovered synergistic interaction between two classes of surfactant applied together with the glyphosate, surprisingly enhanced herbicidal effectiveness is obtained by this method.”

But the formulations remain secret!

Due to ‘data confidentiality’ or putting it bluntly ‘data secrets’, it is not known what these surfactants are, how much more toxic the formulations might be, or even how many different potentially toxic products there are.

The European Court of Justice ruled [xix] in 2013 that the European Commission should disclose industry safety and compositional studies on the pesticide glyphosate, which are currently hidden from the public under data secrets.

The Commission has appealed against the ruling [xx], but Croplife America, The National Association of Manufacturers of the United States and The American Chemistry Council have submitted an application to intervene [xxi].

It could be viewed as significant that the EU is protecting industry, by not revealing the content of emissions of pesticide formulations into the environment.

Pesticide formulations – as the German Safety authorities explained – are regulated on a national level. But the scientific studies that are presented for approval are carried out by the manufacturers themselves.

Only the authorities have access to these studies and have not been verified by independent scientists.

No EU framework for assessing formulations

“Any regulatory system that treats chemicals in isolation is necessarily flawed”, commented Zac Goldsmith, the Conservative MP for Richmond Park & North Kingston.

“Chemicals interact with others when they’re put out into the environment, and they interact when mixed with others in different chemical formulas.”

“A proper, health-oriented regulatory system must look at the synergistic effects of chemical mixtures, and on that basis what we have at present falls far short.”

The bad news is there is still no legal framework at EU level to assess formulations on a regulatory basis. The EU’s own documentation admits:

Current EU legislation does not provide for a comprehensive and integrated assessment of cumulative effects of different chemicals taking into account different routes of exposure“. [xxii]

It is known that UBA reported POEA in 2012 as an “unacceptable co-formulant” for a so called ‘negative list’ [xxiii] to the European Commission. Again nothing happened. A spokesperson for the European Commission has only revealed that “The European Commission is currently preparing a request to the EFSA about POEA.”

It has taken 15 years from initial suspicion that a glyphosate formulation was toxic, to approach a situation that it could be banned within the EU, and not just one Member State.

Tougher pesticide regulation of surfactants and formulations must be the next step.

 


 

Pete Farrer and Marianne Falck are investigative journalists and  film producers, collaborating on the full length investigative documentary Hungry for Pesticides, currently in production.

Pete is also a farmer – an experience which led him to investigate the entire topic of pesticides, herbicides and their health impacts.

This article is a part of an investigation for the film. Please support the investigation and the film.

References

[i] According to a new market report published by Transparency Market Research, ‘Glyphosate Market for Genetically Modified and Conventional Crops – Global Industry Analysis, Size, Share, Growth, Trends and Forecast 2013 – 2019‘.

[ii]http://www.pesticides.gov.uk/Resources/CRD/PRiF/Documents/Results%20and%20Reports/2013/BNA%20Q4%202013%20FINAL.pdf

[iii] http://www.scribd.com/doc/238089929/Glyphosate-RAR-08-Volume-3CA-CP-B-6-2013-12-18-San p799 – German forestry worker – Pers comm (UBA)

[iv] Summary of the relevant literature on surface active substances in glyphosate-based formulations RAR – http://www.scribd.com/doc/238090225/Glyphosate-RAR-13-Volume-3CA-CP-B-9-Appendix-2013-12-18

[v] http://www.moleculardevices.com/applications/areas-research/cytotoxicity

[vi] http://www.scribd.com/doc/238082880/FULLREPORT-GLYPHOSAT-05 p20-21

[vii] http://www.scribd.com/doc/238082880/FULLREPORT-GLYPHOSAT-05 p20

[viii] http://eur-lex.europa.eu/LexUriServ/LexUriServ.do?uri=OJ:L:2005:070:0001:0016:en:PDF

[ix] Brausch, J. M., & Smith, P. N. 2007. Toxicity of Three Polyethoxylated Tallowamine Surfactant Formulations to Laboratory and Field Collected Fairy Shrimp, Thamnocephalus platyurus. Arch Environ Contam Toxicol 52(2), 217-221

[x] Pers comm. (UBA)

[xi] http://www.scribd.com/doc/238089929/Glyphosate-RAR-08-Volume-3CA-CP-B-6-2013-12-18-San p799 – German forestry worker – Pers comm (UBA)

[xii] Pers comm. (BVL)

[xiii] https://secure.pesticides.gov.uk/pestreg/prodsearch.asp

[xiv] http://www.scribd.com/doc/238082730/Glyphosate-RAR-01-Volume-1-2013-12-18-San p98

[xv] http://www.scribd.com/doc/238089929/Glyphosate-RAR-08-Volume-3CA-CP-B-6-2013-12-18-San p835 B.6.13.3 Further toxicological data for other potential co-formulants

[xvi] https://portal.bvl.bund.de/psm/jsp/

[xvii] https://secure.pesticides.gov.uk/pestreg/prodsearch.asp

[xviii] http://www.google.com/patents/WO2001017358A1?cl=en

[xix] http://curia.europa.eu/juris/document/document.jsf?text=&docid=142701&pageIndex=0&doclang=en&mode=lst&dir=&occ=first&part=1&cid=59034

[xx] http://www.ashurst.com/publication-item.aspx?id_Content=9722

[xxi] http://www.nam.org/~/media/18A3D55120154CD790089B40F1611C32/European_Commn_v_Stichting_Greenpeace_intervention.pdf

[xxii] http://eur-lex.europa.eu/legal-content/EN/TXT/HTML/?uri=CELEX:52012DC0252&from=EN

[xxiii] [REG] 1107/2009 – Article 27: Co-formulants – http://www.euissuetracker.com/en/focus/Pages/Plant-Protection-Products-Regulation.aspx

 






Toxic glyphosate herbicides fly under the EU’s regulatory radar





Earlier this year, Germany declared the active substance glyphosate, a component of many herbicides, as ‘safe’ in its draft re-assessment report.

Germany’s words have weight as it is acting as the Rapporteur Member State for this active substance. But an investigation into the report has exposed another story – it is far from ‘safe’.

It is well known that glyphosate is one of the most tested active substances, and is seen as a simple and cost-effective way of controlling weeds in a variety of situatuions.

Glyphosate is the active substance in the most widely used herbicide worldwide called RoundUp®, sales were valued at US$ 5.46 bn in 2012 and are expected to reach US$ 8.79bn [i] by 2019; it is big business.

However, the active substance alone is not sprayed by farmers, councils or ‘you’ in gardens and driveways. Because to work efficiently, it needs additional chemicals called ‘surfactants’.

A shocking omission

The widespread use of glyphosate greatly increases the chances that it will be ingested by humans and farm animals. It is now used to desiccate cereal, pulse and oilseed crops prior to harvest – where it produces residues in some of our staple foods [ii]

It is also used extensively on GM crops engineered to be ‘Roundup Ready’. This does not (yet) take place in the EU, however such crops dominatye in North and South America and account much of the soy and maize imported to the EU for animal feed.

But whilst active substances are tested and regulated on a European level, pesticide formulations, such as Roundup®, are not.

Because of an initial suspicion [iii] that the surfactant called POEA (polyethoxylated tallow amine) might be toxic for humans, animals and the environment, the German authorities have taken their own protective action.

In the meantime, the EU has failed to take any action at all. “Given the alarming results of independent studies [iv], this is simply shocking”, says Martin Häusling, Member of the Greens / European Free Alliance Group.

“Even though I have been criticising The European Food and Safety Authority for many years because of its conflict of interest with the agricultural industry, it would be wrong to blame them alone. The national authorities play a big role in this process.”

But in Germany, things are different

Since the late 1990’s, the German Federal Institute for Health Protection of Consumers and Veterinary Medicine (BgVV) has called upon Member States in the European Union not to accept glyphosate products containing the surfactant POEA based on the high cytotoxicity [v] of the compounds.

However Monsanto and Cheminova – who at the time were jointly submitting glyphosate for re-approval – quickly disputed all the evidence that was presented [vi]. A 1999 report stated:

“Accordingly, in the formulations for which toxicological data has been submitted as part of the joint dossier of Monsanto and Cheminova, surfactants of this type are not contained any more.” [vii].

But the Agro-Chemical companies continued to manufacture and sell products containing POEA. A spokesperson of Monsanto praised surfactants like POEA because “the amount of active ingredient needed per treated area can be reduced.”

He also stressed that “the development of new products requires several years of research and development and review by competent public authorities and Europe has some of the highest standards in the world.”

These “high standards” seemingly have started to fail, because since 1999 there was scientific consensus that the single active substance approach to risk assessment was flawed.

Finally in 2005 the EU revised the Residue Directive and changed it into Regulation (396/2005) and made Cumulative Risk Assessment mandatory “as soon as methods to assess such effects are available [art 14.b].” [viii]

The next step would be a framework developed by European Food and Safety Authority. But very little has happened since then.

The ‘single active substance’ approach to risk assessment is flawed

By 2008, more evidence on this specific surfactant was mounting. A paper by J. M Brausch et al. in 2007 [ix] “found all POEA formulations to be extremely toxic”.

This prompted the German Environmental Agency (UBA) to request more study data specifically about chronic toxicity. What followed was a “very intense professional dispute” [x] between the UBA and agro-chemical companies, as a source from UBA stated.

The result: The companies did not submit any data, but agreed to replace POEA in the glyphosate formulations – however this resulted in the UBA still not having the data to prove chronic toxicity.

Two years later the German Federal Institute for Risk Assessment (BfR) carried out its own toxicological evaluation of the glyphosate-POEA formulation, after a German forestry worker developed chest pain with rapidly increasing severe respiratory distress and fever up to approximately 38°C.

His pathology revealed “toxic inflammation of the lungs” that was significantly different from bacterial infection [xi].

This resulted in the German authorities prohibiting the usage of certain glyphosate formulations with a high content of POEA for the production of animal feeds in order to avoid a risk of toxins being passed through the food chain [xii]. But how are these formulations tested?

Each time glyphosate is risk assessed in the EU it is done by the presentation of one ‘representative formulation’ from the vast quantity available on the market [xiii].

This time, the representative formulation that has been presented by the agro-chemical industries European Glyphosate Task Force (GTF), does not contain the surfactant POEA [xiv]. Only by coincidence? Or was it the least toxic formulation that the GTF could find?

Germany acts – but key data remain under lock and key

This year the German Federal Institute for Risk Assessment and other German safety authorities published their draft re-assessment report (RAR) on glyphosate and the representative formulation, in the process re-assessing hundreds of studies and public domain literature.

Then the UBA did something exceptional. They included a chapter ‘Further toxicological data for other potential co-formulants’ [xv] about the surfactant POEA to make sure all Member States are informed that nearly all toxicological endpoints investigated are clearly more toxic than glyphosate alone.

By the end of this year all formulations containing POEA will have been removed from the German market. So what happened in Germany for them to move from ‘restricted’ to formally ‘banned’?

Answer: we don’t know. All requests for a list of which companies had to replace POEA, exactly when, and which surfactants are now used instead has been declined by German authorities on the basis that the information constitutes ‘Trade Secrets’.

“The protection of public health must have the highest priority – and not the interests of companies or authorities”, commented Martin Häusling. “The public must have the right to check that. The European Precautionary Principle is even as important as the Freedom of Information.”

What about the rest of us?

There are only 91 glyphosate products registered in Germany [xvi] – of which only one remaining product contains POEA, which will be removed by the end of the year.

But there are 424 glyphosate products registered in the UK [xvii] and it is not known exactly how many of these products contain POEA). Rosate 36 is one of UK’s most widely used herbicides in agricultural, horticultural, industrial, amenity and forestry herbicides in use that contain the surfactant POEA.

The discussion about the surfactant POEA shows that the classic method of testing and regulating individual active substances for toxicity does not work. Or as a source from the BfR said:

“We should have a deeper look at co-formulants in the future. The formulation of glyphosate and POEA is an important lesson in that there might be specific surfactants, which can increase the toxicity of the active substance. We don’t assume this is common, but it is an increasingly important factor within the field of toxicity which we are aware of.”

But this story is not about just one surfactant. What is now known is that surfactants can be synergistic with glyphosate. When chemicals are synergistic, the combined effect of two chemicals is much greater than the sum of the effects of each agent given alone.

Even Monsanto say in one of their own patents [xviii]:

“By exploiting a newly discovered synergistic interaction between two classes of surfactant applied together with the glyphosate, surprisingly enhanced herbicidal effectiveness is obtained by this method.”

But the formulations remain secret!

Due to ‘data confidentiality’ or putting it bluntly ‘data secrets’, it is not known what these surfactants are, how much more toxic the formulations might be, or even how many different potentially toxic products there are.

The European Court of Justice ruled [xix] in 2013 that the European Commission should disclose industry safety and compositional studies on the pesticide glyphosate, which are currently hidden from the public under data secrets.

The Commission has appealed against the ruling [xx], but Croplife America, The National Association of Manufacturers of the United States and The American Chemistry Council have submitted an application to intervene [xxi].

It could be viewed as significant that the EU is protecting industry, by not revealing the content of emissions of pesticide formulations into the environment.

Pesticide formulations – as the German Safety authorities explained – are regulated on a national level. But the scientific studies that are presented for approval are carried out by the manufacturers themselves.

Only the authorities have access to these studies and have not been verified by independent scientists.

No EU framework for assessing formulations

“Any regulatory system that treats chemicals in isolation is necessarily flawed”, commented Zac Goldsmith, the Conservative MP for Richmond Park & North Kingston.

“Chemicals interact with others when they’re put out into the environment, and they interact when mixed with others in different chemical formulas.”

“A proper, health-oriented regulatory system must look at the synergistic effects of chemical mixtures, and on that basis what we have at present falls far short.”

The bad news is there is still no legal framework at EU level to assess formulations on a regulatory basis. The EU’s own documentation admits:

Current EU legislation does not provide for a comprehensive and integrated assessment of cumulative effects of different chemicals taking into account different routes of exposure“. [xxii]

It is known that UBA reported POEA in 2012 as an “unacceptable co-formulant” for a so called ‘negative list’ [xxiii] to the European Commission. Again nothing happened. A spokesperson for the European Commission has only revealed that “The European Commission is currently preparing a request to the EFSA about POEA.”

It has taken 15 years from initial suspicion that a glyphosate formulation was toxic, to approach a situation that it could be banned within the EU, and not just one Member State.

Tougher pesticide regulation of surfactants and formulations must be the next step.

 


 

Pete Farrer and Marianne Falck are investigative journalists and  film producers, collaborating on the full length investigative documentary Hungry for Pesticides, currently in production.

Pete is also a farmer – an experience which led him to investigate the entire topic of pesticides, herbicides and their health impacts.

This article is a part of an investigation for the film. Please support the investigation and the film.

References

[i] According to a new market report published by Transparency Market Research, ‘Glyphosate Market for Genetically Modified and Conventional Crops – Global Industry Analysis, Size, Share, Growth, Trends and Forecast 2013 – 2019‘.

[ii]http://www.pesticides.gov.uk/Resources/CRD/PRiF/Documents/Results%20and%20Reports/2013/BNA%20Q4%202013%20FINAL.pdf

[iii] http://www.scribd.com/doc/238089929/Glyphosate-RAR-08-Volume-3CA-CP-B-6-2013-12-18-San p799 – German forestry worker – Pers comm (UBA)

[iv] Summary of the relevant literature on surface active substances in glyphosate-based formulations RAR – http://www.scribd.com/doc/238090225/Glyphosate-RAR-13-Volume-3CA-CP-B-9-Appendix-2013-12-18

[v] http://www.moleculardevices.com/applications/areas-research/cytotoxicity

[vi] http://www.scribd.com/doc/238082880/FULLREPORT-GLYPHOSAT-05 p20-21

[vii] http://www.scribd.com/doc/238082880/FULLREPORT-GLYPHOSAT-05 p20

[viii] http://eur-lex.europa.eu/LexUriServ/LexUriServ.do?uri=OJ:L:2005:070:0001:0016:en:PDF

[ix] Brausch, J. M., & Smith, P. N. 2007. Toxicity of Three Polyethoxylated Tallowamine Surfactant Formulations to Laboratory and Field Collected Fairy Shrimp, Thamnocephalus platyurus. Arch Environ Contam Toxicol 52(2), 217-221

[x] Pers comm. (UBA)

[xi] http://www.scribd.com/doc/238089929/Glyphosate-RAR-08-Volume-3CA-CP-B-6-2013-12-18-San p799 – German forestry worker – Pers comm (UBA)

[xii] Pers comm. (BVL)

[xiii] https://secure.pesticides.gov.uk/pestreg/prodsearch.asp

[xiv] http://www.scribd.com/doc/238082730/Glyphosate-RAR-01-Volume-1-2013-12-18-San p98

[xv] http://www.scribd.com/doc/238089929/Glyphosate-RAR-08-Volume-3CA-CP-B-6-2013-12-18-San p835 B.6.13.3 Further toxicological data for other potential co-formulants

[xvi] https://portal.bvl.bund.de/psm/jsp/

[xvii] https://secure.pesticides.gov.uk/pestreg/prodsearch.asp

[xviii] http://www.google.com/patents/WO2001017358A1?cl=en

[xix] http://curia.europa.eu/juris/document/document.jsf?text=&docid=142701&pageIndex=0&doclang=en&mode=lst&dir=&occ=first&part=1&cid=59034

[xx] http://www.ashurst.com/publication-item.aspx?id_Content=9722

[xxi] http://www.nam.org/~/media/18A3D55120154CD790089B40F1611C32/European_Commn_v_Stichting_Greenpeace_intervention.pdf

[xxii] http://eur-lex.europa.eu/legal-content/EN/TXT/HTML/?uri=CELEX:52012DC0252&from=EN

[xxiii] [REG] 1107/2009 – Article 27: Co-formulants – http://www.euissuetracker.com/en/focus/Pages/Plant-Protection-Products-Regulation.aspx

 






Toxic glyphosate herbicides fly under the EU’s regulatory radar





Earlier this year, Germany declared the active substance glyphosate, a component of many herbicides, as ‘safe’ in its draft re-assessment report.

Germany’s words have weight as it is acting as the Rapporteur Member State for this active substance. But an investigation into the report has exposed another story – it is far from ‘safe’.

It is well known that glyphosate is one of the most tested active substances, and is seen as a simple and cost-effective way of controlling weeds in a variety of situatuions.

Glyphosate is the active substance in the most widely used herbicide worldwide called RoundUp®, sales were valued at US$ 5.46 bn in 2012 and are expected to reach US$ 8.79bn [i] by 2019; it is big business.

However, the active substance alone is not sprayed by farmers, councils or ‘you’ in gardens and driveways. Because to work efficiently, it needs additional chemicals called ‘surfactants’.

A shocking omission

The widespread use of glyphosate greatly increases the chances that it will be ingested by humans and farm animals. It is now used to desiccate cereal, pulse and oilseed crops prior to harvest – where it produces residues in some of our staple foods [ii]

It is also used extensively on GM crops engineered to be ‘Roundup Ready’. This does not (yet) take place in the EU, however such crops dominatye in North and South America and account much of the soy and maize imported to the EU for animal feed.

But whilst active substances are tested and regulated on a European level, pesticide formulations, such as Roundup®, are not.

Because of an initial suspicion [iii] that the surfactant called POEA (polyethoxylated tallow amine) might be toxic for humans, animals and the environment, the German authorities have taken their own protective action.

In the meantime, the EU has failed to take any action at all. “Given the alarming results of independent studies [iv], this is simply shocking”, says Martin Häusling, Member of the Greens / European Free Alliance Group.

“Even though I have been criticising The European Food and Safety Authority for many years because of its conflict of interest with the agricultural industry, it would be wrong to blame them alone. The national authorities play a big role in this process.”

But in Germany, things are different

Since the late 1990’s, the German Federal Institute for Health Protection of Consumers and Veterinary Medicine (BgVV) has called upon Member States in the European Union not to accept glyphosate products containing the surfactant POEA based on the high cytotoxicity [v] of the compounds.

However Monsanto and Cheminova – who at the time were jointly submitting glyphosate for re-approval – quickly disputed all the evidence that was presented [vi]. A 1999 report stated:

“Accordingly, in the formulations for which toxicological data has been submitted as part of the joint dossier of Monsanto and Cheminova, surfactants of this type are not contained any more.” [vii].

But the Agro-Chemical companies continued to manufacture and sell products containing POEA. A spokesperson of Monsanto praised surfactants like POEA because “the amount of active ingredient needed per treated area can be reduced.”

He also stressed that “the development of new products requires several years of research and development and review by competent public authorities and Europe has some of the highest standards in the world.”

These “high standards” seemingly have started to fail, because since 1999 there was scientific consensus that the single active substance approach to risk assessment was flawed.

Finally in 2005 the EU revised the Residue Directive and changed it into Regulation (396/2005) and made Cumulative Risk Assessment mandatory “as soon as methods to assess such effects are available [art 14.b].” [viii]

The next step would be a framework developed by European Food and Safety Authority. But very little has happened since then.

The ‘single active substance’ approach to risk assessment is flawed

By 2008, more evidence on this specific surfactant was mounting. A paper by J. M Brausch et al. in 2007 [ix] “found all POEA formulations to be extremely toxic”.

This prompted the German Environmental Agency (UBA) to request more study data specifically about chronic toxicity. What followed was a “very intense professional dispute” [x] between the UBA and agro-chemical companies, as a source from UBA stated.

The result: The companies did not submit any data, but agreed to replace POEA in the glyphosate formulations – however this resulted in the UBA still not having the data to prove chronic toxicity.

Two years later the German Federal Institute for Risk Assessment (BfR) carried out its own toxicological evaluation of the glyphosate-POEA formulation, after a German forestry worker developed chest pain with rapidly increasing severe respiratory distress and fever up to approximately 38°C.

His pathology revealed “toxic inflammation of the lungs” that was significantly different from bacterial infection [xi].

This resulted in the German authorities prohibiting the usage of certain glyphosate formulations with a high content of POEA for the production of animal feeds in order to avoid a risk of toxins being passed through the food chain [xii]. But how are these formulations tested?

Each time glyphosate is risk assessed in the EU it is done by the presentation of one ‘representative formulation’ from the vast quantity available on the market [xiii].

This time, the representative formulation that has been presented by the agro-chemical industries European Glyphosate Task Force (GTF), does not contain the surfactant POEA [xiv]. Only by coincidence? Or was it the least toxic formulation that the GTF could find?

Germany acts – but key data remain under lock and key

This year the German Federal Institute for Risk Assessment and other German safety authorities published their draft re-assessment report (RAR) on glyphosate and the representative formulation, in the process re-assessing hundreds of studies and public domain literature.

Then the UBA did something exceptional. They included a chapter ‘Further toxicological data for other potential co-formulants’ [xv] about the surfactant POEA to make sure all Member States are informed that nearly all toxicological endpoints investigated are clearly more toxic than glyphosate alone.

By the end of this year all formulations containing POEA will have been removed from the German market. So what happened in Germany for them to move from ‘restricted’ to formally ‘banned’?

Answer: we don’t know. All requests for a list of which companies had to replace POEA, exactly when, and which surfactants are now used instead has been declined by German authorities on the basis that the information constitutes ‘Trade Secrets’.

“The protection of public health must have the highest priority – and not the interests of companies or authorities”, commented Martin Häusling. “The public must have the right to check that. The European Precautionary Principle is even as important as the Freedom of Information.”

What about the rest of us?

There are only 91 glyphosate products registered in Germany [xvi] – of which only one remaining product contains POEA, which will be removed by the end of the year.

But there are 424 glyphosate products registered in the UK [xvii] and it is not known exactly how many of these products contain POEA). Rosate 36 is one of UK’s most widely used herbicides in agricultural, horticultural, industrial, amenity and forestry herbicides in use that contain the surfactant POEA.

The discussion about the surfactant POEA shows that the classic method of testing and regulating individual active substances for toxicity does not work. Or as a source from the BfR said:

“We should have a deeper look at co-formulants in the future. The formulation of glyphosate and POEA is an important lesson in that there might be specific surfactants, which can increase the toxicity of the active substance. We don’t assume this is common, but it is an increasingly important factor within the field of toxicity which we are aware of.”

But this story is not about just one surfactant. What is now known is that surfactants can be synergistic with glyphosate. When chemicals are synergistic, the combined effect of two chemicals is much greater than the sum of the effects of each agent given alone.

Even Monsanto say in one of their own patents [xviii]:

“By exploiting a newly discovered synergistic interaction between two classes of surfactant applied together with the glyphosate, surprisingly enhanced herbicidal effectiveness is obtained by this method.”

But the formulations remain secret!

Due to ‘data confidentiality’ or putting it bluntly ‘data secrets’, it is not known what these surfactants are, how much more toxic the formulations might be, or even how many different potentially toxic products there are.

The European Court of Justice ruled [xix] in 2013 that the European Commission should disclose industry safety and compositional studies on the pesticide glyphosate, which are currently hidden from the public under data secrets.

The Commission has appealed against the ruling [xx], but Croplife America, The National Association of Manufacturers of the United States and The American Chemistry Council have submitted an application to intervene [xxi].

It could be viewed as significant that the EU is protecting industry, by not revealing the content of emissions of pesticide formulations into the environment.

Pesticide formulations – as the German Safety authorities explained – are regulated on a national level. But the scientific studies that are presented for approval are carried out by the manufacturers themselves.

Only the authorities have access to these studies and have not been verified by independent scientists.

No EU framework for assessing formulations

“Any regulatory system that treats chemicals in isolation is necessarily flawed”, commented Zac Goldsmith, the Conservative MP for Richmond Park & North Kingston.

“Chemicals interact with others when they’re put out into the environment, and they interact when mixed with others in different chemical formulas.”

“A proper, health-oriented regulatory system must look at the synergistic effects of chemical mixtures, and on that basis what we have at present falls far short.”

The bad news is there is still no legal framework at EU level to assess formulations on a regulatory basis. The EU’s own documentation admits:

Current EU legislation does not provide for a comprehensive and integrated assessment of cumulative effects of different chemicals taking into account different routes of exposure“. [xxii]

It is known that UBA reported POEA in 2012 as an “unacceptable co-formulant” for a so called ‘negative list’ [xxiii] to the European Commission. Again nothing happened. A spokesperson for the European Commission has only revealed that “The European Commission is currently preparing a request to the EFSA about POEA.”

It has taken 15 years from initial suspicion that a glyphosate formulation was toxic, to approach a situation that it could be banned within the EU, and not just one Member State.

Tougher pesticide regulation of surfactants and formulations must be the next step.

 


 

Pete Farrer and Marianne Falck are investigative journalists and  film producers, collaborating on the full length investigative documentary Hungry for Pesticides, currently in production.

Pete is also a farmer – an experience which led him to investigate the entire topic of pesticides, herbicides and their health impacts.

This article is a part of an investigation for the film. Please support the investigation and the film.

References

[i] According to a new market report published by Transparency Market Research, ‘Glyphosate Market for Genetically Modified and Conventional Crops – Global Industry Analysis, Size, Share, Growth, Trends and Forecast 2013 – 2019‘.

[ii]http://www.pesticides.gov.uk/Resources/CRD/PRiF/Documents/Results%20and%20Reports/2013/BNA%20Q4%202013%20FINAL.pdf

[iii] http://www.scribd.com/doc/238089929/Glyphosate-RAR-08-Volume-3CA-CP-B-6-2013-12-18-San p799 – German forestry worker – Pers comm (UBA)

[iv] Summary of the relevant literature on surface active substances in glyphosate-based formulations RAR – http://www.scribd.com/doc/238090225/Glyphosate-RAR-13-Volume-3CA-CP-B-9-Appendix-2013-12-18

[v] http://www.moleculardevices.com/applications/areas-research/cytotoxicity

[vi] http://www.scribd.com/doc/238082880/FULLREPORT-GLYPHOSAT-05 p20-21

[vii] http://www.scribd.com/doc/238082880/FULLREPORT-GLYPHOSAT-05 p20

[viii] http://eur-lex.europa.eu/LexUriServ/LexUriServ.do?uri=OJ:L:2005:070:0001:0016:en:PDF

[ix] Brausch, J. M., & Smith, P. N. 2007. Toxicity of Three Polyethoxylated Tallowamine Surfactant Formulations to Laboratory and Field Collected Fairy Shrimp, Thamnocephalus platyurus. Arch Environ Contam Toxicol 52(2), 217-221

[x] Pers comm. (UBA)

[xi] http://www.scribd.com/doc/238089929/Glyphosate-RAR-08-Volume-3CA-CP-B-6-2013-12-18-San p799 – German forestry worker – Pers comm (UBA)

[xii] Pers comm. (BVL)

[xiii] https://secure.pesticides.gov.uk/pestreg/prodsearch.asp

[xiv] http://www.scribd.com/doc/238082730/Glyphosate-RAR-01-Volume-1-2013-12-18-San p98

[xv] http://www.scribd.com/doc/238089929/Glyphosate-RAR-08-Volume-3CA-CP-B-6-2013-12-18-San p835 B.6.13.3 Further toxicological data for other potential co-formulants

[xvi] https://portal.bvl.bund.de/psm/jsp/

[xvii] https://secure.pesticides.gov.uk/pestreg/prodsearch.asp

[xviii] http://www.google.com/patents/WO2001017358A1?cl=en

[xix] http://curia.europa.eu/juris/document/document.jsf?text=&docid=142701&pageIndex=0&doclang=en&mode=lst&dir=&occ=first&part=1&cid=59034

[xx] http://www.ashurst.com/publication-item.aspx?id_Content=9722

[xxi] http://www.nam.org/~/media/18A3D55120154CD790089B40F1611C32/European_Commn_v_Stichting_Greenpeace_intervention.pdf

[xxii] http://eur-lex.europa.eu/legal-content/EN/TXT/HTML/?uri=CELEX:52012DC0252&from=EN

[xxiii] [REG] 1107/2009 – Article 27: Co-formulants – http://www.euissuetracker.com/en/focus/Pages/Plant-Protection-Products-Regulation.aspx

 






Toxic glyphosate herbicides fly under the EU’s regulatory radar





Earlier this year, Germany declared the active substance glyphosate, a component of many herbicides, as ‘safe’ in its draft re-assessment report.

Germany’s words have weight as it is acting as the Rapporteur Member State for this active substance. But an investigation into the report has exposed another story – it is far from ‘safe’.

It is well known that glyphosate is one of the most tested active substances, and is seen as a simple and cost-effective way of controlling weeds in a variety of situatuions.

Glyphosate is the active substance in the most widely used herbicide worldwide called RoundUp®, sales were valued at US$ 5.46 bn in 2012 and are expected to reach US$ 8.79bn [i] by 2019; it is big business.

However, the active substance alone is not sprayed by farmers, councils or ‘you’ in gardens and driveways. Because to work efficiently, it needs additional chemicals called ‘surfactants’.

A shocking omission

The widespread use of glyphosate greatly increases the chances that it will be ingested by humans and farm animals. It is now used to desiccate cereal, pulse and oilseed crops prior to harvest – where it produces residues in some of our staple foods [ii]

It is also used extensively on GM crops engineered to be ‘Roundup Ready’. This does not (yet) take place in the EU, however such crops dominatye in North and South America and account much of the soy and maize imported to the EU for animal feed.

But whilst active substances are tested and regulated on a European level, pesticide formulations, such as Roundup®, are not.

Because of an initial suspicion [iii] that the surfactant called POEA (polyethoxylated tallow amine) might be toxic for humans, animals and the environment, the German authorities have taken their own protective action.

In the meantime, the EU has failed to take any action at all. “Given the alarming results of independent studies [iv], this is simply shocking”, says Martin Häusling, Member of the Greens / European Free Alliance Group.

“Even though I have been criticising The European Food and Safety Authority for many years because of its conflict of interest with the agricultural industry, it would be wrong to blame them alone. The national authorities play a big role in this process.”

But in Germany, things are different

Since the late 1990’s, the German Federal Institute for Health Protection of Consumers and Veterinary Medicine (BgVV) has called upon Member States in the European Union not to accept glyphosate products containing the surfactant POEA based on the high cytotoxicity [v] of the compounds.

However Monsanto and Cheminova – who at the time were jointly submitting glyphosate for re-approval – quickly disputed all the evidence that was presented [vi]. A 1999 report stated:

“Accordingly, in the formulations for which toxicological data has been submitted as part of the joint dossier of Monsanto and Cheminova, surfactants of this type are not contained any more.” [vii].

But the Agro-Chemical companies continued to manufacture and sell products containing POEA. A spokesperson of Monsanto praised surfactants like POEA because “the amount of active ingredient needed per treated area can be reduced.”

He also stressed that “the development of new products requires several years of research and development and review by competent public authorities and Europe has some of the highest standards in the world.”

These “high standards” seemingly have started to fail, because since 1999 there was scientific consensus that the single active substance approach to risk assessment was flawed.

Finally in 2005 the EU revised the Residue Directive and changed it into Regulation (396/2005) and made Cumulative Risk Assessment mandatory “as soon as methods to assess such effects are available [art 14.b].” [viii]

The next step would be a framework developed by European Food and Safety Authority. But very little has happened since then.

The ‘single active substance’ approach to risk assessment is flawed

By 2008, more evidence on this specific surfactant was mounting. A paper by J. M Brausch et al. in 2007 [ix] “found all POEA formulations to be extremely toxic”.

This prompted the German Environmental Agency (UBA) to request more study data specifically about chronic toxicity. What followed was a “very intense professional dispute” [x] between the UBA and agro-chemical companies, as a source from UBA stated.

The result: The companies did not submit any data, but agreed to replace POEA in the glyphosate formulations – however this resulted in the UBA still not having the data to prove chronic toxicity.

Two years later the German Federal Institute for Risk Assessment (BfR) carried out its own toxicological evaluation of the glyphosate-POEA formulation, after a German forestry worker developed chest pain with rapidly increasing severe respiratory distress and fever up to approximately 38°C.

His pathology revealed “toxic inflammation of the lungs” that was significantly different from bacterial infection [xi].

This resulted in the German authorities prohibiting the usage of certain glyphosate formulations with a high content of POEA for the production of animal feeds in order to avoid a risk of toxins being passed through the food chain [xii]. But how are these formulations tested?

Each time glyphosate is risk assessed in the EU it is done by the presentation of one ‘representative formulation’ from the vast quantity available on the market [xiii].

This time, the representative formulation that has been presented by the agro-chemical industries European Glyphosate Task Force (GTF), does not contain the surfactant POEA [xiv]. Only by coincidence? Or was it the least toxic formulation that the GTF could find?

Germany acts – but key data remain under lock and key

This year the German Federal Institute for Risk Assessment and other German safety authorities published their draft re-assessment report (RAR) on glyphosate and the representative formulation, in the process re-assessing hundreds of studies and public domain literature.

Then the UBA did something exceptional. They included a chapter ‘Further toxicological data for other potential co-formulants’ [xv] about the surfactant POEA to make sure all Member States are informed that nearly all toxicological endpoints investigated are clearly more toxic than glyphosate alone.

By the end of this year all formulations containing POEA will have been removed from the German market. So what happened in Germany for them to move from ‘restricted’ to formally ‘banned’?

Answer: we don’t know. All requests for a list of which companies had to replace POEA, exactly when, and which surfactants are now used instead has been declined by German authorities on the basis that the information constitutes ‘Trade Secrets’.

“The protection of public health must have the highest priority – and not the interests of companies or authorities”, commented Martin Häusling. “The public must have the right to check that. The European Precautionary Principle is even as important as the Freedom of Information.”

What about the rest of us?

There are only 91 glyphosate products registered in Germany [xvi] – of which only one remaining product contains POEA, which will be removed by the end of the year.

But there are 424 glyphosate products registered in the UK [xvii] and it is not known exactly how many of these products contain POEA). Rosate 36 is one of UK’s most widely used herbicides in agricultural, horticultural, industrial, amenity and forestry herbicides in use that contain the surfactant POEA.

The discussion about the surfactant POEA shows that the classic method of testing and regulating individual active substances for toxicity does not work. Or as a source from the BfR said:

“We should have a deeper look at co-formulants in the future. The formulation of glyphosate and POEA is an important lesson in that there might be specific surfactants, which can increase the toxicity of the active substance. We don’t assume this is common, but it is an increasingly important factor within the field of toxicity which we are aware of.”

But this story is not about just one surfactant. What is now known is that surfactants can be synergistic with glyphosate. When chemicals are synergistic, the combined effect of two chemicals is much greater than the sum of the effects of each agent given alone.

Even Monsanto say in one of their own patents [xviii]:

“By exploiting a newly discovered synergistic interaction between two classes of surfactant applied together with the glyphosate, surprisingly enhanced herbicidal effectiveness is obtained by this method.”

But the formulations remain secret!

Due to ‘data confidentiality’ or putting it bluntly ‘data secrets’, it is not known what these surfactants are, how much more toxic the formulations might be, or even how many different potentially toxic products there are.

The European Court of Justice ruled [xix] in 2013 that the European Commission should disclose industry safety and compositional studies on the pesticide glyphosate, which are currently hidden from the public under data secrets.

The Commission has appealed against the ruling [xx], but Croplife America, The National Association of Manufacturers of the United States and The American Chemistry Council have submitted an application to intervene [xxi].

It could be viewed as significant that the EU is protecting industry, by not revealing the content of emissions of pesticide formulations into the environment.

Pesticide formulations – as the German Safety authorities explained – are regulated on a national level. But the scientific studies that are presented for approval are carried out by the manufacturers themselves.

Only the authorities have access to these studies and have not been verified by independent scientists.

No EU framework for assessing formulations

“Any regulatory system that treats chemicals in isolation is necessarily flawed”, commented Zac Goldsmith, the Conservative MP for Richmond Park & North Kingston.

“Chemicals interact with others when they’re put out into the environment, and they interact when mixed with others in different chemical formulas.”

“A proper, health-oriented regulatory system must look at the synergistic effects of chemical mixtures, and on that basis what we have at present falls far short.”

The bad news is there is still no legal framework at EU level to assess formulations on a regulatory basis. The EU’s own documentation admits:

Current EU legislation does not provide for a comprehensive and integrated assessment of cumulative effects of different chemicals taking into account different routes of exposure“. [xxii]

It is known that UBA reported POEA in 2012 as an “unacceptable co-formulant” for a so called ‘negative list’ [xxiii] to the European Commission. Again nothing happened. A spokesperson for the European Commission has only revealed that “The European Commission is currently preparing a request to the EFSA about POEA.”

It has taken 15 years from initial suspicion that a glyphosate formulation was toxic, to approach a situation that it could be banned within the EU, and not just one Member State.

Tougher pesticide regulation of surfactants and formulations must be the next step.

 


 

Pete Farrer and Marianne Falck are investigative journalists and  film producers, collaborating on the full length investigative documentary Hungry for Pesticides, currently in production.

Pete is also a farmer – an experience which led him to investigate the entire topic of pesticides, herbicides and their health impacts.

This article is a part of an investigation for the film. Please support the investigation and the film.

References

[i] According to a new market report published by Transparency Market Research, ‘Glyphosate Market for Genetically Modified and Conventional Crops – Global Industry Analysis, Size, Share, Growth, Trends and Forecast 2013 – 2019‘.

[ii]http://www.pesticides.gov.uk/Resources/CRD/PRiF/Documents/Results%20and%20Reports/2013/BNA%20Q4%202013%20FINAL.pdf

[iii] http://www.scribd.com/doc/238089929/Glyphosate-RAR-08-Volume-3CA-CP-B-6-2013-12-18-San p799 – German forestry worker – Pers comm (UBA)

[iv] Summary of the relevant literature on surface active substances in glyphosate-based formulations RAR – http://www.scribd.com/doc/238090225/Glyphosate-RAR-13-Volume-3CA-CP-B-9-Appendix-2013-12-18

[v] http://www.moleculardevices.com/applications/areas-research/cytotoxicity

[vi] http://www.scribd.com/doc/238082880/FULLREPORT-GLYPHOSAT-05 p20-21

[vii] http://www.scribd.com/doc/238082880/FULLREPORT-GLYPHOSAT-05 p20

[viii] http://eur-lex.europa.eu/LexUriServ/LexUriServ.do?uri=OJ:L:2005:070:0001:0016:en:PDF

[ix] Brausch, J. M., & Smith, P. N. 2007. Toxicity of Three Polyethoxylated Tallowamine Surfactant Formulations to Laboratory and Field Collected Fairy Shrimp, Thamnocephalus platyurus. Arch Environ Contam Toxicol 52(2), 217-221

[x] Pers comm. (UBA)

[xi] http://www.scribd.com/doc/238089929/Glyphosate-RAR-08-Volume-3CA-CP-B-6-2013-12-18-San p799 – German forestry worker – Pers comm (UBA)

[xii] Pers comm. (BVL)

[xiii] https://secure.pesticides.gov.uk/pestreg/prodsearch.asp

[xiv] http://www.scribd.com/doc/238082730/Glyphosate-RAR-01-Volume-1-2013-12-18-San p98

[xv] http://www.scribd.com/doc/238089929/Glyphosate-RAR-08-Volume-3CA-CP-B-6-2013-12-18-San p835 B.6.13.3 Further toxicological data for other potential co-formulants

[xvi] https://portal.bvl.bund.de/psm/jsp/

[xvii] https://secure.pesticides.gov.uk/pestreg/prodsearch.asp

[xviii] http://www.google.com/patents/WO2001017358A1?cl=en

[xix] http://curia.europa.eu/juris/document/document.jsf?text=&docid=142701&pageIndex=0&doclang=en&mode=lst&dir=&occ=first&part=1&cid=59034

[xx] http://www.ashurst.com/publication-item.aspx?id_Content=9722

[xxi] http://www.nam.org/~/media/18A3D55120154CD790089B40F1611C32/European_Commn_v_Stichting_Greenpeace_intervention.pdf

[xxii] http://eur-lex.europa.eu/legal-content/EN/TXT/HTML/?uri=CELEX:52012DC0252&from=EN

[xxiii] [REG] 1107/2009 – Article 27: Co-formulants – http://www.euissuetracker.com/en/focus/Pages/Plant-Protection-Products-Regulation.aspx

 






Toxic glyphosate herbicides fly under the EU’s regulatory radar





Earlier this year, Germany declared the active substance glyphosate, a component of many herbicides, as ‘safe’ in its draft re-assessment report.

Germany’s words have weight as it is acting as the Rapporteur Member State for this active substance. But an investigation into the report has exposed another story – it is far from ‘safe’.

It is well known that glyphosate is one of the most tested active substances, and is seen as a simple and cost-effective way of controlling weeds in a variety of situatuions.

Glyphosate is the active substance in the most widely used herbicide worldwide called RoundUp®, sales were valued at US$ 5.46 bn in 2012 and are expected to reach US$ 8.79bn [i] by 2019; it is big business.

However, the active substance alone is not sprayed by farmers, councils or ‘you’ in gardens and driveways. Because to work efficiently, it needs additional chemicals called ‘surfactants’.

A shocking omission

The widespread use of glyphosate greatly increases the chances that it will be ingested by humans and farm animals. It is now used to desiccate cereal, pulse and oilseed crops prior to harvest – where it produces residues in some of our staple foods [ii]

It is also used extensively on GM crops engineered to be ‘Roundup Ready’. This does not (yet) take place in the EU, however such crops dominatye in North and South America and account much of the soy and maize imported to the EU for animal feed.

But whilst active substances are tested and regulated on a European level, pesticide formulations, such as Roundup®, are not.

Because of an initial suspicion [iii] that the surfactant called POEA (polyethoxylated tallow amine) might be toxic for humans, animals and the environment, the German authorities have taken their own protective action.

In the meantime, the EU has failed to take any action at all. “Given the alarming results of independent studies [iv], this is simply shocking”, says Martin Häusling, Member of the Greens / European Free Alliance Group.

“Even though I have been criticising The European Food and Safety Authority for many years because of its conflict of interest with the agricultural industry, it would be wrong to blame them alone. The national authorities play a big role in this process.”

But in Germany, things are different

Since the late 1990’s, the German Federal Institute for Health Protection of Consumers and Veterinary Medicine (BgVV) has called upon Member States in the European Union not to accept glyphosate products containing the surfactant POEA based on the high cytotoxicity [v] of the compounds.

However Monsanto and Cheminova – who at the time were jointly submitting glyphosate for re-approval – quickly disputed all the evidence that was presented [vi]. A 1999 report stated:

“Accordingly, in the formulations for which toxicological data has been submitted as part of the joint dossier of Monsanto and Cheminova, surfactants of this type are not contained any more.” [vii].

But the Agro-Chemical companies continued to manufacture and sell products containing POEA. A spokesperson of Monsanto praised surfactants like POEA because “the amount of active ingredient needed per treated area can be reduced.”

He also stressed that “the development of new products requires several years of research and development and review by competent public authorities and Europe has some of the highest standards in the world.”

These “high standards” seemingly have started to fail, because since 1999 there was scientific consensus that the single active substance approach to risk assessment was flawed.

Finally in 2005 the EU revised the Residue Directive and changed it into Regulation (396/2005) and made Cumulative Risk Assessment mandatory “as soon as methods to assess such effects are available [art 14.b].” [viii]

The next step would be a framework developed by European Food and Safety Authority. But very little has happened since then.

The ‘single active substance’ approach to risk assessment is flawed

By 2008, more evidence on this specific surfactant was mounting. A paper by J. M Brausch et al. in 2007 [ix] “found all POEA formulations to be extremely toxic”.

This prompted the German Environmental Agency (UBA) to request more study data specifically about chronic toxicity. What followed was a “very intense professional dispute” [x] between the UBA and agro-chemical companies, as a source from UBA stated.

The result: The companies did not submit any data, but agreed to replace POEA in the glyphosate formulations – however this resulted in the UBA still not having the data to prove chronic toxicity.

Two years later the German Federal Institute for Risk Assessment (BfR) carried out its own toxicological evaluation of the glyphosate-POEA formulation, after a German forestry worker developed chest pain with rapidly increasing severe respiratory distress and fever up to approximately 38°C.

His pathology revealed “toxic inflammation of the lungs” that was significantly different from bacterial infection [xi].

This resulted in the German authorities prohibiting the usage of certain glyphosate formulations with a high content of POEA for the production of animal feeds in order to avoid a risk of toxins being passed through the food chain [xii]. But how are these formulations tested?

Each time glyphosate is risk assessed in the EU it is done by the presentation of one ‘representative formulation’ from the vast quantity available on the market [xiii].

This time, the representative formulation that has been presented by the agro-chemical industries European Glyphosate Task Force (GTF), does not contain the surfactant POEA [xiv]. Only by coincidence? Or was it the least toxic formulation that the GTF could find?

Germany acts – but key data remain under lock and key

This year the German Federal Institute for Risk Assessment and other German safety authorities published their draft re-assessment report (RAR) on glyphosate and the representative formulation, in the process re-assessing hundreds of studies and public domain literature.

Then the UBA did something exceptional. They included a chapter ‘Further toxicological data for other potential co-formulants’ [xv] about the surfactant POEA to make sure all Member States are informed that nearly all toxicological endpoints investigated are clearly more toxic than glyphosate alone.

By the end of this year all formulations containing POEA will have been removed from the German market. So what happened in Germany for them to move from ‘restricted’ to formally ‘banned’?

Answer: we don’t know. All requests for a list of which companies had to replace POEA, exactly when, and which surfactants are now used instead has been declined by German authorities on the basis that the information constitutes ‘Trade Secrets’.

“The protection of public health must have the highest priority – and not the interests of companies or authorities”, commented Martin Häusling. “The public must have the right to check that. The European Precautionary Principle is even as important as the Freedom of Information.”

What about the rest of us?

There are only 91 glyphosate products registered in Germany [xvi] – of which only one remaining product contains POEA, which will be removed by the end of the year.

But there are 424 glyphosate products registered in the UK [xvii] and it is not known exactly how many of these products contain POEA). Rosate 36 is one of UK’s most widely used herbicides in agricultural, horticultural, industrial, amenity and forestry herbicides in use that contain the surfactant POEA.

The discussion about the surfactant POEA shows that the classic method of testing and regulating individual active substances for toxicity does not work. Or as a source from the BfR said:

“We should have a deeper look at co-formulants in the future. The formulation of glyphosate and POEA is an important lesson in that there might be specific surfactants, which can increase the toxicity of the active substance. We don’t assume this is common, but it is an increasingly important factor within the field of toxicity which we are aware of.”

But this story is not about just one surfactant. What is now known is that surfactants can be synergistic with glyphosate. When chemicals are synergistic, the combined effect of two chemicals is much greater than the sum of the effects of each agent given alone.

Even Monsanto say in one of their own patents [xviii]:

“By exploiting a newly discovered synergistic interaction between two classes of surfactant applied together with the glyphosate, surprisingly enhanced herbicidal effectiveness is obtained by this method.”

But the formulations remain secret!

Due to ‘data confidentiality’ or putting it bluntly ‘data secrets’, it is not known what these surfactants are, how much more toxic the formulations might be, or even how many different potentially toxic products there are.

The European Court of Justice ruled [xix] in 2013 that the European Commission should disclose industry safety and compositional studies on the pesticide glyphosate, which are currently hidden from the public under data secrets.

The Commission has appealed against the ruling [xx], but Croplife America, The National Association of Manufacturers of the United States and The American Chemistry Council have submitted an application to intervene [xxi].

It could be viewed as significant that the EU is protecting industry, by not revealing the content of emissions of pesticide formulations into the environment.

Pesticide formulations – as the German Safety authorities explained – are regulated on a national level. But the scientific studies that are presented for approval are carried out by the manufacturers themselves.

Only the authorities have access to these studies and have not been verified by independent scientists.

No EU framework for assessing formulations

“Any regulatory system that treats chemicals in isolation is necessarily flawed”, commented Zac Goldsmith, the Conservative MP for Richmond Park & North Kingston.

“Chemicals interact with others when they’re put out into the environment, and they interact when mixed with others in different chemical formulas.”

“A proper, health-oriented regulatory system must look at the synergistic effects of chemical mixtures, and on that basis what we have at present falls far short.”

The bad news is there is still no legal framework at EU level to assess formulations on a regulatory basis. The EU’s own documentation admits:

Current EU legislation does not provide for a comprehensive and integrated assessment of cumulative effects of different chemicals taking into account different routes of exposure“. [xxii]

It is known that UBA reported POEA in 2012 as an “unacceptable co-formulant” for a so called ‘negative list’ [xxiii] to the European Commission. Again nothing happened. A spokesperson for the European Commission has only revealed that “The European Commission is currently preparing a request to the EFSA about POEA.”

It has taken 15 years from initial suspicion that a glyphosate formulation was toxic, to approach a situation that it could be banned within the EU, and not just one Member State.

Tougher pesticide regulation of surfactants and formulations must be the next step.

 


 

Pete Farrer and Marianne Falck are investigative journalists and  film producers, collaborating on the full length investigative documentary Hungry for Pesticides, currently in production.

Pete is also a farmer – an experience which led him to investigate the entire topic of pesticides, herbicides and their health impacts.

This article is a part of an investigation for the film. Please support the investigation and the film.

References

[i] According to a new market report published by Transparency Market Research, ‘Glyphosate Market for Genetically Modified and Conventional Crops – Global Industry Analysis, Size, Share, Growth, Trends and Forecast 2013 – 2019‘.

[ii]http://www.pesticides.gov.uk/Resources/CRD/PRiF/Documents/Results%20and%20Reports/2013/BNA%20Q4%202013%20FINAL.pdf

[iii] http://www.scribd.com/doc/238089929/Glyphosate-RAR-08-Volume-3CA-CP-B-6-2013-12-18-San p799 – German forestry worker – Pers comm (UBA)

[iv] Summary of the relevant literature on surface active substances in glyphosate-based formulations RAR – http://www.scribd.com/doc/238090225/Glyphosate-RAR-13-Volume-3CA-CP-B-9-Appendix-2013-12-18

[v] http://www.moleculardevices.com/applications/areas-research/cytotoxicity

[vi] http://www.scribd.com/doc/238082880/FULLREPORT-GLYPHOSAT-05 p20-21

[vii] http://www.scribd.com/doc/238082880/FULLREPORT-GLYPHOSAT-05 p20

[viii] http://eur-lex.europa.eu/LexUriServ/LexUriServ.do?uri=OJ:L:2005:070:0001:0016:en:PDF

[ix] Brausch, J. M., & Smith, P. N. 2007. Toxicity of Three Polyethoxylated Tallowamine Surfactant Formulations to Laboratory and Field Collected Fairy Shrimp, Thamnocephalus platyurus. Arch Environ Contam Toxicol 52(2), 217-221

[x] Pers comm. (UBA)

[xi] http://www.scribd.com/doc/238089929/Glyphosate-RAR-08-Volume-3CA-CP-B-6-2013-12-18-San p799 – German forestry worker – Pers comm (UBA)

[xii] Pers comm. (BVL)

[xiii] https://secure.pesticides.gov.uk/pestreg/prodsearch.asp

[xiv] http://www.scribd.com/doc/238082730/Glyphosate-RAR-01-Volume-1-2013-12-18-San p98

[xv] http://www.scribd.com/doc/238089929/Glyphosate-RAR-08-Volume-3CA-CP-B-6-2013-12-18-San p835 B.6.13.3 Further toxicological data for other potential co-formulants

[xvi] https://portal.bvl.bund.de/psm/jsp/

[xvii] https://secure.pesticides.gov.uk/pestreg/prodsearch.asp

[xviii] http://www.google.com/patents/WO2001017358A1?cl=en

[xix] http://curia.europa.eu/juris/document/document.jsf?text=&docid=142701&pageIndex=0&doclang=en&mode=lst&dir=&occ=first&part=1&cid=59034

[xx] http://www.ashurst.com/publication-item.aspx?id_Content=9722

[xxi] http://www.nam.org/~/media/18A3D55120154CD790089B40F1611C32/European_Commn_v_Stichting_Greenpeace_intervention.pdf

[xxii] http://eur-lex.europa.eu/legal-content/EN/TXT/HTML/?uri=CELEX:52012DC0252&from=EN

[xxiii] [REG] 1107/2009 – Article 27: Co-formulants – http://www.euissuetracker.com/en/focus/Pages/Plant-Protection-Products-Regulation.aspx