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WELCOME TO THE YEAR 2021

" GM WATCH " <info

 

Tue, 4 Jan 2005 23:16:17 GMT

 

 

 

 

WELCOME TO THE YEAR 2021

http://www.gmwatch.org

---

This Spilling the Beans newsletter features the sixth in a monthly

series of articles on genetically engineered foods by Jeffrey Smith.

---

Spilling the Beans, January, 2005

Institute for Responsible Technology

 

US Government Proposal Puts Food Supply at Risk

By Jeffrey M. Smith, author of Seeds of Deception

 

WELCOME TO THE YEAR 2021. GENETICALLY ENGINEERED WONDER SEEDS LEAD TO

EXPLODING CROP YIELDS. . . . BUT THERE'S A PROBLEM. WHEN THE WHEAT SEED

WAS MODIFIED, A LONG-DORMANT GENE WAS ACTIVATED CAUSING SEVERE ALLERGIC

REACTIONS IN NEARLY 3 BILLION PEOPLE. YEARS PASS BEFORE THE CONNECTION

IS MADE. BY THEN, THE WORLD'S WHEAT SUPPLIES MUST BE DESTROYED, AND A

GLOBAL FOOD SHORTAGE SETS IN.

 

This was the scene described by the narrator of a " Modern Marvels "

episode entitled " Doomsday Tech, " shown on the History Channel throughout

the U.S. on December 28, 2004. Could this scenario be possible?

Unfortunately yes, and new guidelines proposed by the Food and Drug

Administration (FDA) increase the likelihood that GM crops will make

people sick

in new, hard-to-track ways.

 

Genetically modified (GM) crops may produce dangerous allergens or

toxins that are difficult to detect. Since the FDA does not require

safety

testing and refuses to monitor the effects of GM foods on public

health, the seeds for such a catastrophe might have already been sown.

 

While the seven approved, commercialized varieties of GM food crops

(soy, corn, cotton, canola, Hawaiian papaya, zucchini and crook neck

squash) may pose a greater threat to our health, increasing risk comes

from

more than 100 other GM species, not approved for human consumption,

that have been planted in experimental field trials since 1987. About

40,000 test sites covering approximately half a million acres are

virtually

unregulated. Several are reported to have contaminated non-GM crops,

but the overall extent of contamination is unknown and potentially

widespread.

 

This makes the food and the biotech industries nervous, and rightly so.

When a corn engineered to produce a pig vaccine contaminated half a

million bushels of soybeans, the corn's producer required a government

bail out to pay nearly $3 million in fine and cleanup costs-a fraction of

the cost if the drug had made it to grocery shelves. When StarLink™

corn, a potentially allergenic GM variety, did end up in the food supply,

product recalls, lost exports, clean-up efforts, and lawsuits totaled

about $1 billion.

 

On August 2, 2002, a White House directive issued by its Office of

Science and Technology Policy (OSTP) told the FDA, USDA, and EPA to

create

ways that contamination from " field tests could be found acceptable. "

On November 19, 2004, the FDA proposed a " Guidance for Industry, " which

acting FDA commissioner Lester Crawford described as " a high priority

for the Administration and the industry, to enhance public confidence

[and] avoid product recalls. " What the new guidance does not do, however,

is protect public health. In fact, it does the opposite. If approved,

it would increase the chances that the world food supply will suffer

dangerous untraceable contamination.

 

The gist of the new draft guidance is this: A GM crop developer

voluntarily provides the FDA with answers to two pages of questions.

These may

include the results of two superficial tests on their crop that take as

little as 20 hours to complete. If crop contamination is later

discovered, companies can claim that they have complied with FDA

requirements

and the agency can declare that their prior " evaluation " shows that the

contamination will not cause harm. Armed with what appears to be a

legal defense, companies would become less likely to spend the money

needed

to prevent contamination.

 

FDA Ignores Science

 

Biotech scientists insert genes into DNA to produce new proteins.

According to the draft guidance, a new protein " might be an allergen or

toxin. " That's true. But the guidance also states that the " FDA believes

that any potential risk from " contamination by GM field trials " would be

limited to " this potentially allergenic or toxic protein. That's not

true.

 

There is evidence of numerous other ways in which GM plants may create

a health catastrophe. In the History Channel scenario, for example,

" WHEN THE WHEAT SEED WAS MODIFIED, A LONG-DORMANT GENE WAS ACTIVATED. "

Later in the TV program, I am quoted describing one way this might occur:

the promoter, which is inserted with the foreign gene to switch it on,

might accidentally switch on other genes-permanently. This danger is

not acknowledged in the guidance. Nor are other dangers described by FDA

scientists in internal memos, made public by a lawsuit. The FDA's

Division of Food Chemistry and Technology, for example, predicted in 1991

that genetic engineering might create " increased levels of known

naturally occurring toxins " or the " appearance of new, not previously

identified " toxins. Subsequent studies have verified this. GM yeast, for

example, contained a 200-fold increase in a naturally occurring toxin.

A GM

tobacco plant produced a toxin not found in natural tobacco, and not

directly created by the inserted gene. The FDA division also warned of

" undesirable alterations in the levels of nutrients, " and of an increased

tendency to gather " toxic substances from the environment " such as

" pesticides or heavy metals. " 6 These concerns were also later

verified. But

the warnings by FDA scientists' were ignored, even denied, in the

official FDA policy. That policy was overseen by Michael Taylor, former

outside attorney for Monsanto, turned FDA policy chief, later turned

Monsanto vice-president.

 

In a 2001document, the agency finally acknowledged that genetic

engineering carried risks that were different from traditional

breeding. They

described insertion mutations-a well known effect of gene insertion

that damages DNA. Each GM variety may be uniquely damaged, which can lead

to unpredicted problems. Thus, the document states that, " FDA believes

that it needs to be provided with information about foods from all

separate " GM varieties, even if the gene that was inserted was the

same one

used in another, already approved variety. This logical position is

reversed, however, in the new draft guidance, which says that if the FDA

looks at a novel protein created in one GM variety " and no safety

concerns are identified, " 12 they do not have to look at other GM crops

that

insert the same gene.

 

So what do they propose to look at? Not much that would protect public

health. For example, they will tell biotech companies, " You should

consider whether the new protein is an allergen, or a toxin. " From the

formerly secret FDA memos, FDA scientist Carl Johnson wrote in 1991, " Are

we asking the crop developer to prove that food from his crop is

non-allergenic? This seems like an impossible task. " While there are

no tests

to verify that a novel protein is not a human allergen, the World

Health Organization and the United Nations FAO recommend criteria to

minimize the likelihood that it is. The GM corn, soybeans, and papaya

already

on the market, however, fail those criteria. That hasn't stopped them

from being approved.

 

The FDA recommends test tube studies to simulate digestion, but they

are a poor indicator of what really happens inside human beings or

animals. Moreover, biotech companies typically manipulate the test

parameters

to force their own conclusions, so that the tests often give a false

sense of security.

 

But even these poorly designed studies, like all FDA regulation of GM

foods, are entirely voluntary. The draft guidance states: " The use of

the word should in agency guidances means that something is suggested or

recommended, but not required. " Thus, if a company's response to the

FDA's questionnaire " raises questions about the food safety of " the new

protein, the best that the FDA can come up with is to say to the

company: " You may wish to discuss the identified issues with us prior to

engaging in any activity that might result in material from your plant

inadvertently entering the food supply. " 12

 

Threat Grows over Time

 

Even if harm from experimental crops were a small probability, repeated

enough times, it becomes a certainty. From 1987 through 2002, the USDA

issued 8,571permits and more are expected. The government identifies

about 500 different foreign genes used, but the actual number is higher

since most are kept secret-classified by companies as confidential

business information. We don't know what might end up in our food

supply and

we don't even know how to test for its presence. In some cases, even

tiny amounts of contamination carry significant risks. According to the

EPA's expert Scientific Advisory Panel, no minimum amount of StarLink

was considered safe. Some GM crops produce pharmaceutical products which

are known to be active at billionths of a gram. Instead of creating a

framework to prevent contamination, the new guideline tries to make it

legal and " acceptable. "

 

In an April 2004 joint press release, the Biotechnology Industry

Organization and the U.S. grain industry instructed the U.S.

government that

it " must vigorously promote global adoption of compatible regulatory

systems. " They want the world to also accept contaminated food. Five

months later, acting FDA commissioner Crawford heralded the draft

guidance

as " an international model. " 4

 

In the History Channel scenario, YEARS PASS BEFORE THE CONNECTION IS

MADE. This may be optimistic. Without monitoring, a food-related health

problem could go untracked for decades. And even if evidence were

compiled, like tobacco and pesticides, the biotech industry may fight

to keep

their products on the market.

 

Soy allergies skyrocketed in the UK by 50% after GM soy was introduced.

According to Russian scientists, allergies there tripled in the three

years corresponding to the widespread introduction of GM foods. And food

related illnesses in the U.S. doubled between 1994 and 2001, when many

GM crops entered the food supply. A History Channel scenario might

already be in the making.

 

The FDA's draft guidance comment period ends January 24, 2005. To send

a pre-worded letter or write your own, go to

www.thecampaign.org/alertFDA012405.php

 

[see REFERENCES below]

---

This monthly column & citations are found at www.seedsofdeception.com.

© Copyright 2004 Jeffrey M. Smith.

 

Publishers and webmasters may offer this article or monthly series to

your readers at no charge,

by e-mailing a request to us. Individuals may read the column each

month, by subscribing to a free newsletter at www.seedsofdeception.com.

Also on the site, you will find these columns formatted as a two page

handout.

 

© Copyright 2004 by Jeffrey M. Smith. Permission is granted to

reproduce this in whole or in part.

 

For an excellent analysis of the draft guidance, see Friends of the

Earth Briefing Paper, " How the US Government is Planning to Approve

Contamination of the World's Food Supply with Experimental GM Crops, "

November 2004 http://www.foei.org/publications/pdfs/contamination.pdf

 

REFERENCES

 

1.Jeffrey M. Smith, " Genetically Engineered Foods may Pose National

Health Risk, " Spilling the Beans, August 1, 2004,

http://www.seedsofdeception.com/newsletter-Aug1_2004.php

 

2.Richard Caplan, " Raising Risk: Field Testing of Genetically

Engineered Crops in the United States, " U.S.PIRG Education Fund, June

2003

http://www.uspirg.org/reports/RaisingRisk2003.pdf

 

3.OSTP (2002). " Proposed federal actions to update field test

requirements for biotechnology derived plants and to establish early

food safety

assessments for new proteins produced by such plants, " Notice, Office

of Science and Technology Policy, Federal Register ,Vol.67, No.149, p.

50578-50580.

 

4.Lester M. Crawford, Acting Commissioner of the FDA. Speech before The

U.S. Vatican Mission's Conference " Feeding A Hungry World: The Moral

Imperative Of Biotechnology, " September 2004 www.agbioworld.org

 

5.FDA Proposes Draft Guidance for Industry for New Plant Varieties

Intended for Food Use, FDA Talk Paper, November 19, 2004,

http://www.fda.gov/bbs/topics/ANSWERS/2004/ANS01327.html

 

6.Division of Food Chemistry and Technology and Division of

Contaminants Chemistry, " Points to Consider for Safety Evaluation of

Genetically

Modified Foods: Supplemental Information, " November 1, 1991,

www.biointegrity.org

 

7.Doug Gurian-Sherman, " A Look at the Unintended Effects of Genetically

Engineering Food Plants Re. The National Academy of Sciences Report on

Unintended Effects, " The Center for Food Safety, Briefing Paper.

 

8.Premarket Notice Concerning Bioengineered Foods, Food and Drug

Administration, 21 CFR Parts 192 and 592, [DocketNo.00N-1396] Federal

Register, Volume 66, Number 12. page 4711, January 18, 2001 " Because some

rDNA-induced unintended changes are specific to a transformational event

(e.g., those resulting from insertional mutagenesis), FDA believes that

it needs to be provided with information about foods from all separate

transformational events, even when the agency has been provided with

information about foods from rDNA-modified plants with the same intended

new trait and has had no questions about such foods. Similarly, the

agency believes that it needs to be provided with information about foods

from rDNA-modified plants whose intended change is the introduction of a

pesticidal protein subject to oversight by the Environmental Protection

Agency (EPA) rather than by FDA, because the transformational event

that is used to introduce the pesticidal trait may also cause unintended

changes to the food that would raise adulteration or misbranding

questions subject to FDA jurisdiction. "

 

9.Carl B. Johnson, Memo on the " draft statement of policy 12/12/91, "

January 8, 1992 www.biointegrity.org

 

10.Guidance for Industry Recommendations for the Early Food Safety

Evaluation of New Non-Pesticidal Proteins Produced by New Plant Varieties

Intended for Food Use, U.S. Department of Health and Human Services,

November 2004, http://www.fda.gov/OHRMS/DOCKETS/98fr/04d-0369-gdl0001.pdf

 

11. " Assessment of Additional Scientific Information Concerning StarLink

Corn, " FIFRA Scientific Advisory Panel to the EPA, SAP Report No.

2001-09, from meeting on July 17/18, 2001.

 

12.Bill Freese, " Manufacturing Drugs and Chemicals in Crops:

Biopharming Poses New Threats to Consumers, Farmers, Food Companies

and the

environment, " July 2002, Friends of the Earth, www.foe.org/biopharm.

 

13. " US Grain Industry, BIO Urge US Government to Expedite

'Trace-Amounts ' Policy for Biotech Products, " press release,

Biotechnology Industry

Organization & National Grain & Feed Association, and other trade

groups, April 7,2004, www.bio.org/newsroom/newsitem.asp?id=2004_0407_01.

 

 

 

 

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