“The best available science and data.” It’s a phrase that carries heavy weight—or at least it should, as “the best available science and data” is the standard by which a regulatory agency is charged with conducting Endangered Species Act decisions. It is also the standard on which the fate of farmers across the country and their continued ability to use vital crop protection tools hinges.
Grower groups are expressing frustration that EPA recently did not use “the best available science and data,” as is required by law, in its endangered species biological evaluations (BE) for glyphosate, atrazine, and simazine released November 12. As a result, EPA’s final BEs for these chemistries vastly inflate the number of species and habitats found likely to be adversely affected.
The American Soybean Association and American Farm Bureau Federation have sought to provide the agency with better, real-world data sources, including in comments on the draft BEs—comments that EPA opted not to incorporate into the final BE. For example:
- The final BE for glyphosate also continues to assume soybean growers use 3.75 lbs./acre of glyphosate per application, whereas market research data and USDA survey data show the number is 1.00 lb./acre – nearly four times less than the BE assumes.
- The final BE for glyphosate also assumes growers reapply chemistry a mere seven days after an initial application. This extraordinarily unrealistic assumption for any producer increases model exposure risks for species.