BioAssay 4:5 (2009) | ISSN: 1809-8460 | ||
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Julie Fitzpatrick1, Adriana Cheavegatti-Gianotto2, Jesus Aparecido Ferro2, Maria Fátima Grossi-de-Sa3, Paul Keese4, Raymond Layton5, Denis Lima6, Thomas Nickson7, Alan Raybould8, Eduardo Romano3, Jörg Romeis9, Eugenio Ulian10 and Mariela Berezovsky11 1ILSI Research Foundation, 1156 15th Street NW, Suite 200, Washington, DC 20005-5802, USA, (202) 659-3306, juliefitzpatrick@verizon.net2 Alellyx S.A., Rua James Clerk Maxwell, 320, Campinas, São Paulo, Brazil, CEP 13069-380, adriana.cheavegatti@alellyx.com.br, jesus.ferro@alellyx.com.br 3 Embrapa Recursos Genéticos e Biotecnologia, Parque Estação Biológica, Av. W5 Norte, Caixa Postal 02372 - Brasília, Distrito Federal, Brazil, CEP 70770-900, fatimasa@cenargen.embrapa.br, romano@cenargen.embrapa.br 4Office of the Gene Technology Regulator, Department of Health and Ageing, P.O. Box 9848, Canberra ACT 2601, Australia, paul.keese@health.gov.au 5Pioneer Hi-Bred Int'l, 7250 NW 62nd Ave, Johnston, IA 50131-0552, USA, raymond.layton@pioneer.com 6Bayer S/A, Rua Domingos Jorge, 1100, CEP 04779-970, São Paulo, SP, Brazil, 11 5694-7403, denis.lima@bayercropscience.com 7Monsanto Company, 800 N. Lindbergh Blvd. St. Louis, MO, 63167 USA, Thomas.nickson@monsanto.com 8Syngenta, Jealott’s Hill International Research Station, Bracknell, Berkshire RG42 6EY, UK, alan.raybould@syngenta.com 9Agroscope Reckenholz-Tänikon Research Station ART, Reckenholzstr. 191, 8046 Zurich, Switzerland, joerg.romeis@art.admin.ch 10Monsanto Brasil, Avenida Nações Unidas 12901, São Paulo, Brazil, CEP 04578-910, eugenio.c.ulian@monsanto.com 11 ILSI Brasil, Rua Hungria 664, 11o, Floor, cj.113, Sao Paulo, SP 01455-904 BR, ilsibr@ilsi.org.br Enviado em: 26/III/2009 Aceito em: 05/VIII/2009; Publicado em: 10/VIII/2009 Formulação de Problema em Análise de Risco Ambiental de Cultivos Geneticamente Modificados: Workshop no Brasil RESUMO - O International Life Sciences Institute (ILSI) e a Empresa Brasileira de Agropecuária (EMBRAPA) realizaram um workshop para reunir cientistas do governo, da indústria e da academia, com o intuito de discutir o processo de formulação de problema para o levantamento de risco ambiental (LRA) de culturas geneticamente modificadas (GM). O workshop se concentrou na aplicação do conhecimento científico vigente do LRA para as culturas GM, presentes no meio ambiente brasileiro. Devido às características peculiares e à importância econômica que a cana-de-açúcar e o algodão representam para a economia e o meio ambiente brasileiro, estas culturas foram utilizadas como modelos para estudos de caso, onde os conceitos discutidos foram aplicados à luz da Resolução Normativa Nº05 (RN05) da Comissão Técnica Nacional de Biossegurança (CTNBio). O objetivo deste documento é sumarizar as conclusões obtidas durante este workshop. PALAVRAS-CHAVE - biossegurança, análise de risco, plantas geneticamente modificadas. ABSTRACT - A workshop organized by the International Life Sciences Institute (ILSI) Research Foundation, ILSI Brasil, and Brazilian Agricultural Research Corporation (EMBRAPA) brought together scientists from government, industry and academia to explore problem formulation for environmental risk assessment (ERA) of genetically modified crops. The workshop focused on the application of current scientific knowledge related to the ERA of GM crops in the Brazilian context of the National Biosafety Technical Commission (CTNBio) Normative Resolution #05 requirements and the local environment. Due to the importance of cotton and sugarcane to Brazil’s economy and the potential environmental impacts associated with introducing genetically modified varieties, these crops were used as case studies to illustrate and discuss the general concepts in problem formulation. This report is a summary of the discussions from this workshop. KEYWORDS - biosafety, risk analysis, genetically modified plants. Environmental Risk Assessment (ERA) is commonly
used
by regulatory authorities as part of decision-making for the approval
of a
genetically modified organism (GMO).
Brazil
recently implemented Normative Resolution No. 05 to provide guidance
for
regulators and developers of GM products in the conducting ERAs. Specifically, this
resolution “[p]rovides for
the rules of planned release in the environment of Genetically Modified
Organisms (GMO) of plant origin and derivatives therefrom”. The International Life Sciences Institute
(ILSI)
Research Foundation, ILSI Brasil, and Brazilian Agricultural Research
Corporation (EMBRAPA) brought together 50 scientists from government,
industry
and academia to explore problem formulation (PF) for ERA of GM crops. The workshop was held in
Brasilia over 2
days. In addition,
several internationally
recognized scientific experts participated in the workshop. The specific objectives of the workshop
included:
The workshop was designed to meet the needs of
Brazilian scientists who must now interpret and implement the recent
legislation. Regulators
and developers
of GM products from both public and private sector needed to discuss
these new
rules with regard to the established principles of ERA.
Achieving
the objectives of the workshop could facilitate the adoption of a
structured process
for initiating ERAs with appropriate PF as a focusing step, which will
increase
the efficiency and transparency in the decision making process and
increase
harmonization of approaches to ERA globally.
This paper presents the consensus of the group of
experts participating
in the workshop and is not intended to include a review of the
literature. The
goal is to produce a pragmatic scheme
that assesses risk sufficiently for decision-making without
unncesssarily
delaying introduction of products that may be beneficial. The workshop was opened with an introduction to
the
work of ILSI presented by Aldo Baccarin, President of ILSI Brasil and
included
welcomes from Eduardo Romano, Empresa Brasileira de
Agropecuária (EMBRAPA), and
Julie Fitzpatrick, ILSI Research Foundation. Walter
Colli, President of the Comissão
Técnica Nacional de Biossegurança (CTNBio),
presented an introductory message
detailing the importance of bringing together scientists to address
issues of
common concern. José
Geraldo Eugênio de
França, Executive Director of EMBRAPA, presented a review of
biotechnology
crops in Brasil and Julie Fitzpatrick presented the current work of the
ILSI
Research Foundation’s Environmental Risk Assessment for
Genetically Modified
Crops program on PF. Background presentations on PF, non-target
organisms, ecological risk assessment research, and CTNBio’s
Normative
Resolution No. 05 were presented by Paul Keese from
Australia’s Office of the
Gene Technology Regulator, Alan Raybould from Syngenta, and
Jörg Romeis from
the Agroscope Reckenholz-Tänikon Research Station. The following is a summary
of these
presentations and the results of the multi-stakeholder discussions. The ERA Problem
Formulation Problem formulation is the “formal,
structured,
opening stage” of a risk assessment that determines its
purpose and scope, and
so guides the gathering of informative data (Patton
1998). The
importance of PF in
risk assessments is
often overlooked. Poor
PF may compromise
the entire risk assessment and impair subsequent decision-making. One outcome of this
failure has been the
production of data of limited relevance for risk assessment (Craig et
al.,
2008). Irrelevant
data increase rather
than allay concerns about the impacts of GMOs (Johnson
et al. 2007; Raybould
2006), and may even increase environmental risk because of
delays in
the
introduction of environmentally beneficial products (Cross, 1996; Raybould
2006). There is a simple question at the heart of PF
for
regulatory risk assessments of GM crops: “What
could go wrong if this GM crop is cultivated in this country?” Unfortunately, this
question is often subtly
but significantly modified to: “What will change if this GM
crop is cultivated
in this country?”
This more open-ended
question has led to seeking any form of biological or environmental
effect,
whereas, risk assessment is concerned with the much smaller subset of
effects,
namely, those considered harmful. Clearly distinguishing between
studies that
predict change and those that predict harm is central ensuring
regulatory
efficiencies and avoiding the generation of irrelevant data (Raybould,
2007).
To solve this problem we need to answer another deceptively simple
question: “What is harm?” Having an unambiguous (operational) definition
of
harm resulting from the cultivation of a GM crop is essential so that
suitable
risk hypotheses can be formulated and tested in the risk assessment. Harm should directly
relate to clearly stated
objectives or management goals of environmental law or other
instruments of
policy under which the GM crops are regulated, and should provide the
scope and
boundaries of the risk assessment.
Clear
definitions of harm and its seriousness can be difficult to establish
because
what is harmful cannot be discovered by experiments and objective
analysis.
Harm is an expression of subjective societal values, which differ
between
people, and vary over time. Consequently, legislation and management
goals are
often expressed as high level concepts, such as the protection of
biodiversity,
ecosystems, natural and physical resources, or the quality of
locations, places
and areas. The
derivation of specific,
unambiguous, and therefore scientifically tractable definitions of harm
to
these concepts is a crucial step in PF. Scientifically tractable definitions of harm
are
central to PF and have two elements: the assessment endpoints and
unacceptable
conditions of those endpoints. The assessment endpoints are the
specific
environmental components that the risk assessment seeks to protect, and
they
comprise a component of the environment and a property of that
component (e.g., Suter,
1990). They may be comprised of biological, chemical and
physical
variables: for example, common assessment endpoints are the population
sizes of
particular species, and the concentration of certain compounds in water
bodies.
The definition of harm is completed by specifying an unacceptable
condition:
for example, a population size below a specified threshold, or a
concentration
above a specified threshold. Once harm is defined, PF can tackle a
potentially
open-ended question: “How may harm
arise?”
Answers to this question describe plausible sets of circumstances
(scenarios)
that could give rise to harm. In other words, this part of PF considers
how use
of the genetically modified crop may bring about an unacceptable
condition of
the assessment endpoints.
In deriving
plausible scenarios for harm, consideration should be given to existing
knowledge of the crop’s biology, the intended effect of the
genetic
modification, potential unintended effects of transformation, and the
proposed
use of the crop, including where and how it will be cultivated, how it
will be
processed, and the fate of its products and waste materials. With sufficient imagination, the number of
scenarios
that leads to harm is almost unlimited, which raises an important
question: “Which, if any, of these
scenarios warrant
detailed assessment?”
In general,
many scenarios are closely related and can be eliminated from further
assessment because one or more steps in the pathway to harm can be
dismissed as
highly unlikely from existing knowledge. It is useful to consider the philosophical basis for eliminating certain scenarios from further consideration. Scientific risk assessment can be viewed as conforming to the model of the continuous development of scientific knowledge proposed by the Austrian philosopher Karl Popper (1902-1994) (Raybould 2007). Popper proposed that logically science cannot prove theories by finding evidence in their favor, but can test theories by find errors in them. Popper argued that a theory can only be classified as scientific if it is possible to falsify it, and that this logic of scientific discovery can be applied to the development of all objective knowledge. In Popper’s view, all objective knowledge is acquired according to a simple scheme: a problem is identified; a trial solution to the problem is proposed; the solution is tested to eliminate errors; and corroboration or falsification of the trial solution provides new knowledge with associated new problems (Popper 1972). The process can be schematically represented as in Figure 1. Risk
assessment of GM crops fits Popper’s scheme because the
safety of a GM crop
cannot be proved, but acceptable risk can be established by testing
hypotheses
(Raybould 2006):
the development of scenarios describing how the GM
crop may
cause harm is the initial problem (P1); trial
solutions (TS) are
risk hypotheses that propose the scenarios will not be fulfilled; error
elimination (EE) are tests of those hypotheses; the tests lead to
increased
knowledge of risk and new problems, which could be decision about
whether to
require further testing or to complete the risk assessment. When
rejecting a
scenario for further consideration, one has, in effect, decided that a
hypothesis that a scenario will not occur has been tested and
corroborated with
sufficient rigor. It may appear “obvious” to the
assessor that certain
scenarios cannot lead to harm; however, “obvious”
is really shorthand for a
highly corroborated hypothesis of no harm via that scenario. As no
explicit
hypothesis testing may occur, it is important for the purposes of
transparency
to document which scenarios were considered and judged to be
implausible. Scenarios
that require detailed assessment are those for which there is
considered to be
insufficient corroboration of the risk hypotheses: in other words, the
risk
hypotheses require further testing. Testing the risk hypotheses tackles
the
final question that must be answered in PF:
“How will risk be
characterized?”
Risk hypotheses postulate the absence of phenomena necessary for harm
to occur (Raybould
2006); for example, if harm to the environment could arise
because of
toxicity
of a transgenic protein to a particular species, a suitable risk
hypothesis is
that the species will not be exposed to concentrations of the protein
in excess
of the lowest concentration that could have an adverse effect. This
hypothesis
can be tested by comparing the concentration of the protein that
produces
adverse effects with predictions of the environmental concentrations of
the
protein as a result of cultivation of the GM crop (i.e., expected
environmental
concentrations). Strictly speaking the corroboration or falsification
of the
hypothesis falls outside PF. Importantly, the risk hypotheses
formulated during
PF must be testable, and therefore possible methods for testing
hypotheses are
an important consideration. Risk
hypotheses should be rigorously tested with data acquired from the
literature,
expert judgment or from new studies.
It
is important to emphasize that new studies should be required only if
existing
data or other relevant information are not available to test the risk
hypotheses with sufficient rigor to adequately characterize the risk. For example, regulatory
risk assessments of a
new GM soybean cultivar in Brazil would most likely not require new
data on
horizontal gene flow because sufficient data already exist to
satisfactorily
corroborate the hypothesis that harm will not arise by this route from
cultivation of soybeans. CTNBio’s
Normative Resolution #05 CTNBio’s Normative
Resolution #05 provides the
goals, scope and boundaries for PF.
It
also serves as the basis for defining harms (linked to assessment
endpoints) necessary
for identifying potential meaningful risks. Normative Resolution #05 decrees that
case-by-case
risk assessment is required for all commercial releases of GMOs into
the
Brazilian environment for the purpose of protecting human, animal, and
plant
health, and the environment. The scope includes biosafety issues
arising from
the “construction, cultivation, production, manipulation,
transport, transfer,
import, export, storage, research, marketing, consumption, disposal to
the
environment and discarding of genetically modified organisms, GMO and
GMO
derivatives.” In addition, Annex IV (part A) of Normative
Resolution
#05 sets out specific requirements for ERA of plants. The requirements
include
consideration of the GMO parental organism, its ancestors and wild
relatives;
spread and persistence of the GMO and its progeny in the same or
different
environments; gene transfer to the same species or other sexually
compatible
species; possible effects on environmentally important indicator
species;
negative and positive effects on target and non-target organisms;
horizontal
gene transfer; and, biotic and abiotic interactions with the
environment,
including soil and water. Brazil is signatory to the Cartagena Protocol
on
Biosafety, and as such Normative Resolution
#05 was written in a manner for to Brazil maintain
compliance with this
international agreement. The
principles,
methods and general considerations outlined in Annex III of the
protocol are
consistent with the information in Normative Resolution #05. Examples of how the
Normative Resolution #05
is applied to PF can be found in the case studies described below. Problem
Formulation applied to protecting non-target (valued) arthropods The
majority of commercially grown GM crops are modified for enhanced
insect
resistance or herbicide tolerance (James
2008). One
of the potential harms
associated with growing
insect-resistant GM
plants is adverse effects on beneficial (valued) non-target arthropods
(NTAs,
also referred to as non-target organisms or NTOs). To
assess the potential risks, regulatory
authorities need to construct reasonable risk hypotheses based on the
characteristics of the crop, the introduced trait, the likely receiving
environment and the interactions among these.
Because it is not reasonable or necessary to test
every arthropod
species individually for potential harmful effects, appropriate ERA
methods
must be developed based on well-formulated hypotheses.
For
practical reasons, only a small fraction of the terrestrial arthropods
potentially exposed to the insecticidal proteins can be considered for
regulatory testing. As
generally adopted
in many parts of the world, it is necessary to initially select
appropriate
species that can be tested under worst-case conditions in the
laboratory; these
species serve as surrogates for the broader diversity of ecologically
and
economically desirable organisms.
Selection of species should be evident from the
exposure scenarios, and
should be chosen based reasonable risk hypotheses developed considering
the
crop and introduced trait. Furthermore,
they can represent different ecological functions within the
agroecosystem
(herbivors, pollinators, decomposers, predators, etc.). To reflect biogeographical
variation, it is
crucial to determine which taxa are likely to occur in the cropping
systems
where the transgenic plant is expected to be grown.
Another important source of information that
serves as a basis for selecting relevant surrogate species is the
information
on the insecticidal protein. This includes the known specificity, mode
of
action and the temporal and spatial exposure profile. This information
is
accumulated at the time of PF (plant characterization). The information
collected in these previous steps will direct the selection of
representative
NTAs from a proposed set of species that capture key ecological
functions, that
are amenable to testing and for which standardized testing protocols
exists
(Romeis et
al. 2008). Generally,
species selected for testing should be those that provide the most
rigorous
test of the risk hypotheses for a particular insect-resistant
genetically
modified plant in a specific agricultural and environmental setting.
The
application of the surrogate species concept enhances the
transferability of
data from lower tier tests to a wide range of regions and crops (e.g., Romeis
et al., 2009). Choice of Test Methods A
typical risk hypothesis resulting from the PF phase may be that the
insecticidal protein does not cause an adverse effect to NTAs at the
concentration expressed in the field. Both seriousness and likelihood
of harm
can be evaluated within different levels or “tiers”
that progress from
worst-case hazard and exposure to more realistic scenarios as shown in Figure 2
(Garcia-Alonso
et al. 2006; Rose
2007; Romeis
et al. 2008). Lower
tier tests are
generally conducted in
the laboratory to provide high levels of replication and study control.
Lower
tier tests add conservatism such as high doses to account for
uncertainty. When
harm is detected in low tier tests, additional information may be
required. In these
cases, higher tier
tests can serve to confirm if an adverse effect might still be detected
at more
realistic rates and routes of exposure. Higher tier studies including
semi-field or field-based tests offer greater environmental realism,
however these
tests only make sense when early tier studies in the laboratory
indicate potential
harm at environmentally relevant levels of exposure. In
cases where acceptable risk cannot be
concluded in lower tiers (typically laboratory studies with purified
toxins or
plant material) with sufficient certainty, higher tier studies would be
conducted. The aim is to evaluate whether the adverse effect detected
is
present under more realistic conditions. Higher tier studies might be
conducted
at the initial stage when early tier tests are not possible; for
example, when
the species to be tested is not available or amenable for laboratory
testing. Movement between tiers is based on the sufficiency of information that is available as shown in Figure 2. If sufficient data and experience from toxicological testing and exposure analyses are available to characterize the potential risk as being acceptable, then there is no need to undertake additional testing. The process is thus designed to balance the expense related to time and resources needed to identify and define sources of potential risk with the need for more information. Case Studies GM cotton (Gossypium
hirsutum) and GM
sugarcane (Saccharum X officinarum) were presented as case
studies for discussing the
development of effective PF for ERAs.
For each case study two scientists presented
background documents after
which the participants divided into three breakout groups that
addressed gene
flow and NTAs. In
the course of these
conversations other issues were raised including horizontal gene
transfer,
physical and chemical alterations in the soil and adjacent water
bodies, and
capacity to survive in different environments.
Workshop participants recognized that a complete PF
for a GM plant would
be much more extensive, but all aspects could not be covered in the
course of
this workshop. The
Workshop focused on
these three areas (gene flow, NTAs and “other issues) to be
discussed in the
workshop. Eduardo
Romano and Fátima
Grossi-de Sa from EMBRAPA presented background material on genetically
modified
cotton (BR Cotton) resistant to coleopteran Boll Weevil (Anthonomus
grandis) and the main Lepdopteran insect-pests in
Brazil. Adriana
Gianotto and Jesus Ferro
from Allelyx presented background material on sugarcane genetically
modified to
herbicide and insect resistance. Following
the background presentations the workshop participants split into three
groups
to discuss the various aspects of PF.
The highlights of the breakout group discussions
were presented to all
workshop participants in a plenary session for further discussion. Case Study:
Cotton Background A
crucial and basic component for a proper risk assessment is the
definition of
an appropriate baseline for comparison. Of different possible baselines
(Andow
et al., 2006) the members of the workshop were unanimous in
defining
that for
GM crops the appropriate reference point is the environmental impacts
associated
with traditional crops including practices commonly used in cultivating
plants
developed by conventional breeding. Therefore participants of the case
study
agreed that the impact of GM cotton should be compared to the impact of
the
cultivation of conventional cotton and its associated agronomic
practices.
Cotton in Brazil is severely damaged by boll weevil (Anthonomus
grandis) insect-pest and, on average, sixteen pesticide
sprays are applied during the season for its control. The transgenic
insecticidal trait discussed here would thus likely result in
significant
reductions in insecticide use.
The
Normative Resolution #05, which regulates the commercial release of
GMOs in
Brazil, and recommends that the potential environmental benefits of the
transgenic crop cultivation should be taken into account in its risk
assessment. The hypothetical
transgenic event was derived from Brazil, called BR Cedro, a commercial
variety
of G. hirsutum, and would be
cultivated in the same way as non transgenic varieties in Brazil. The transgenic event named
BR Cotton 351
would be used mainly for production of textile fibers and in a smaller
scale,
feed and oil for human consumption.
The
BR Cotton 351 contains the cry8Ka5
gene from Bacillus thuringiensis
that
confers resistance to boll weevil, and the nptII
gene from Escherichia coli, which
confers resistance to the antibiotic kanamycin. Cotton
gene flow The
group agreed that gene flow from cotton in Brazil posed some
interesting
scientific considerations that should be addressed in the PF. Three species of the genus
Gossypium occur in Brazil, all
of them
are allotetraploids and sexually compatible among themselves: G. hirsutum, G. barbadense, and G. mustelinum. Additionally, G. mustelinum is judged to be a rare
species considered to be at risk of extinction. Therefore, genetic
compatibility between the transgenic G.
hirsutum and the remaining Gossypium
genotypes raises concerns about the maintenance of the genetic
variability of
the native cotton in Brazil. It
is
interesting to note that in this case risk assessment considers only
the
potential adverse outcomes. A
thorough
PF could also pose an alternative hypothesis that the Bt
gene in G. mustilinum
is beneficial for the population of this species by protecting it from
extinction. Gene
flow is a natural phenomenon that has many elements which must be
considered in
a rigorous ERA (Stewart
et al., 2003). Firstly, gene flow and
hybridization are
not the same as introgression. This distinction is important because
potential
negative ecological effects can be associated at various steps along
the
process to introgression. PF for this Bt cotton should consider the
potential
harms associated with both intermediate hybrids and introgressed
species. Hybridization
is the initial cross between
parent plants of different varieties, subspecies, species or genera
while
introgression is defined as the permanent incorporation of genes from
one set
of differentiated populations (species, subspecies, races and so on)
into
another. The
process of introgression is
more involved than hybridization. In
the
case of a hypothetical GM cotton resistant to boll weevil, it would be
important to clarify whether the population of wild cotton would
benefit from
being protected due to the presence of the transgene and no longer
likely to
control by coleopteran attack. A transgene that confers a selective
advantage
to the wild relative greater than the sum of the selective
disadvantages of
loci that are genetically linked with the crop transgene locus is
likely to
introgress if there are no mitigating factors. If the transgene confers
a
selective disadvantage, special circumstances are required to fix the
gene
(Haygood et al
2004). Even
if a
transgene confers a meaningful advantage, it needs to overcome further
barriers
to be introgressed into the recipient genome.
Several basic conditions must be met for successful
introgression: the
transgenic crop and sexually compatible
wild plant must have overlapping flowering times; the hybrids must
persist for
at least one generation and be fertile to produce backcross hybrids;
and finally,
backcross generations to the wild relative must progress to the point
at which
the transgene is incorporated into the genome of the wild relative
(Stewart et
al., 2003). There
is a low probability of introgression of genes from cotton to other Gossypium species including G. mustelinum. Despite
several centuries of sympatric cultivation
of G. barbadense and G.
hirsutum, there is little evidence of
interspecific introgression of alleles from cultivated cotton into G. mustelinum. Isoenzymatic studies of G. mustelinum
showed that only 6 out of
the 50 loci sampled were polymorphic, without any heterozygous plant
being
verified (Wendel
and Rowley 1994). These data show that the populations
are
highly monomorphic and indicate that self-pollination may be more
common than
cross pollination. In
addition to the natural barriers to introgression of transgenes from GM
plants
to wild relatives, CTNBio created large exclusion zones for transgenic
cotton
in Brazil in 2005 as shown in Figure
3. The participants of the cotton
case
study considered that due to the natural barriers in introgression
along with
the adoption of exclusion zones in Brazil it is expected that gene flow
from
transgenic plants will pose negligible risk to genetic variability of Gossypium species compared to the
cultivation of conventional cotton. Cotton
non-target Arthropods The
group supported the use of the tiered approach (Romeis
et al., 2008)
to
assess
the risk that GM cotton poses to NTAs. The selection of the species
should be based
on their abundance and ecological role in the context of cultivating
cotton. The
knowledge on arthropods in Brazilian cotton fields is considerable and
allows the
participants to identify the most important species (Hilbeck et al.
2006). In
general, the assessment starts with laboratory tests to determine
whether the
insecticidal proteins could harm the selected insects. The risk
assessment may
conclude negligible risk in this early tier if no effects are observed
under
these worst case conditions. However, if unacceptable effects have been
identified or cannot be ruled out with sufficient certainty, higher
tier tests
will be performed where NTAs will be exposed to the toxin under more
realistic
conditions. In the cotton case study, two scenarios were discussed: 1) laboratory
feeding studies conducted under
worst-case exposure conditions revealed no detectable adverse effect of
the
toxin on the selected insects and; 2) the
toxin caused detectable adverse effects
on the representative insects with LD50 much higher (at least one order
of
magnitude) than the level present in the GM crop. In
both cases and based on evidence presented, the group considered that
the risks
to NTAs are lower than the risk of the commonly used alternative
technology –
the use of chemical pesticides. While
it
was evident that in the first case (no effects observed in lab tests at
high
doses) no additional studies would be necessary, the second case may
require
additional higher tier studies when unacceptable risks cannot be ruled
out with
sufficient certainty. Moreover, the group discussed the value of LD50
estimates
for supporting ERA studies. In
general,
LD50 values are estimates from dose-response curves and their use is
linked to
the concept that toxicity is a function of dose and exposure. Thus, by
increasing the tested dose it is possible to estimate LD50s to a large
number
of substances, but how these lethal dose values relate to exposure and
therefore ERA is often times not made clear. In
other words, an LD50 may be detected in a
lab study, but if the expected environmental exposure is much lower
(>10x)
than the concentration tested the risk can be characterized as
negligible. This is
standard practice in pesticide risk
assessment. Experience
with testing
proteins with a very narrow host spectrum such as Bt Cry proteins, LD50
values are
frequently not calculated because of the lack of effects observed at
very high
concentrations (scenario 1 above). Products that
have been through regulatory systems using this method have not been
shown to
be associated with environmental harm (e.g. Romeis
et al. 2008).
For risk
assessment pedants, 10x is not a safety factor. Testing at lower than
10x can
be used to demonstrate acceptable risk, we do not have to demonstrate
no effect
at 10x . 10x is desirable because it provides more power to extrapolate
than
does testing at 1x. Another
very important point that came out of this discussion was the need for
appropriate test systems. The
group
discussed the fact that trophic transfer is an interesting ecological
element
of any systems. However,
recent attempts
to test for direct toxic effects of the protein through the trophic
system
using susceptible prey are fundamentally flawed.
Spurious results can be obtained using
moribund larvae as diet for specialist predators (Romeis et al., 2008). Cotton
Additional Issues The likelihood of horizontal transference of a
transgene to soil microorganisms is very small, certainly much lower
than the
chances of a similar transfer among bacteria (Keese
2008). Bt
proteins and Bt Other
points were raised in the discussion such as extensive analysis of
transgene-locus structure including sequencing of the flanking genomic
regions
of the transgenes could be useful for traceability and inspection
issues, but
will have little or no environmental biosafety importance. Some authors
advise
to include nucleotide sequencing of transgenic locus in risk assessment
because
the integration of exogenous DNA into the plant genome can result in
the
disruption of host genes resulting in non intended effects. However,
this group
is aware the phenotype is much more important for ERA than the
genotype, and
that possible pleiotropic or non intended effects caused by several
different
reasons including insertional mutagenesis would be better analyzed by
substantial equivalence and field tests, both required before the
process of
release for commercialization of GM plants.
Case Study: Sugarcane Background GM
sugarcane was derived from a sugarcane commercial hybrid
( Saccharum X officinarum)
and
information
was presented to show that it would be cultivated in the same way as
‘traditional’ varieties in Brazil.
As
such, this GM sugarcane would be used mainly to produce sucrose (sugar)
and
ethanol with the bagasse most likely being burned at the mills to
produce
energy. Alternatively,
the variety could
also be used to produce cachaça and other food products such
as rapadura, sugarcane
syrup and brown sugar. In Brazil, it is also common to use sugarcane
for cattle
feeding and for in natura human
consumption. The
main production of sugarcane in Brazil occurs on the Southeast,
Mid-East, South,
and Northeast regions of the country. The production of sugarcane in
the North
region is irrelevant. Sugarcane is very important to the Brazilian
economy.
Brazil is the major exporter of sugar and ethanol to the world market
and these
two sugarcane products are commodities that occupies the fourth place
among the
Brazilian agribusiness exporter after soybean and its subproducts, meat
and
pulp and paper products (CONAB,
2007). There
is no commercial release of GM sugarcane anywhere and this is supposed
to be
the first one. This variety would include the
5-enolpyruvylshikimate-3-phosphate synthase (EPSPS)
gene from Agrobacterium
tumefaciens sp. strain CP4, which confers tolerance to
glyphosate herbicide
and the cry2A gene from Bacillus thuringiensis, which confers
resistance to insects belonging to the order Lepidoptera. Sugarcane Gene Flow Sugarcane
pollen has low viability in normal environmental conditions: its half life is only 12
minutes and it shows
no viability after 35 minutes at 26.5°C and 67% RH (Moore 1976; Venkatraman
1922). As a consequence, it is not expected that viable
pollen is
carried long
distances in the field. Furthermore, sugarcane seeds do not have high
viability, losing 90% of their viability after 80 days at 28°C,
if not properly
desiccated (Rao, 1980).
They also require high humidity to germinate. The
center of origin of sugarcane is Asia and it is considered an exotic
crop in
Brazil. It was introduced in the early times of colonization, and has
been cultivated
for approximately 500 years. It is known that in areas where sugarcane
is
cultivated, very few plants can grow outside the cultivated area (OGTR,
2008).
It is also known that sugarcane requires very specific conditions to
flower,
and therefore sexual reproduction is only likely to happen near the
Equator, in
the Northeast Region of the country (Brett,
1951; Moore &
Nuss,
1987). Due
to this difficulty in flowering, breeders have to manipulate
environmental
conditions in order to make effective crosses (Matsuoka et al. 1999). There
are no known wild relatives of sugarcane in Brazil, since all the
species
belonging to the “Saccharum
Complex”,
an intercrossing group of species which have given origin to the Saccharum species, have their origin
center in Southeast Asia (Roach
& Daniels (1987) . However, in
recent
studies, some botanists have classified some Brazilian native plants
from the Erianthus genus as
belonging to the Saccharum genus: S. villosum, S.
asperum
and S. cf. baldiwinii
(Flora
Farenogâmica, 2008).
Since very little is known about the biology
of these plants, studies are required to check the likelihood of gene
flow
among these species. Overall,
the breakout group agreed that inter and intraspecific gene flow
associated
with sugarcane poses no significant concerns for the environmental risk
assessment. In this
case, the PF would
lead to a conclusion that no more data need to be collected for an ERA
for this
crop. The
insertion of glyphosate tolerance in sugarcane may lead to the
appearance of
sugarcane volunteer plants in the field if inadequate management is
performed.
This can happen due to the current use of glyphosate by growers to
eradicate
crop ratoons after planting ends, and as such poses a significant
stewardship
consideration for herbicide tolerant sugarcane. This does not mean that
the GM
sugarcane with tolerance to glyphosate will become weedier, since it
will not
have more ability to spread than the conventional variety (for example:
more
seeds, more dormancy, presence of rhizomes, etc). However, farmers
should be
aware that it will not be possible to use glyphosate to eliminate
transgenic
plants with tolerance to this herbicide and would need to adapt their
cultural
practices to the GM variety. Sugarcane Non-target Arthropods Although
there is no commercial release of a transgenic sugarcane variety, there
is
extensive experience and knowledge of non-GM sugarcane cultivation,
which
provides the essential biological and agronomic baseline information
for PF. In
addition, the data available from other GM crops already in the market
with the
same integrated traits can be used, allowing regulators to focus on the
species
that are unique to sugarcane and have not been studied yet. In this
manner, it
is known that Bt genes have effect on a limited range of insects and
that Cry2A
affects only lepidopteran insects, making unnecessary to study a broad
range of
NTAs. It
was suggested at the workshop that the impact of the transgenic variety
on the
population of ants should be studied.
Ants
belong to the order Hymenoptera, and some species are considered to be
important to Brazilian sugarcane plantations because they act as
predators for
herbivorous pests. Although
there was
data on the safety of Cry2A for hymenoptera (honeybees, Duan et al,
2008) no
direct
data on ants were available in the
scientific literature. However,
the
group recognized that, based on available information, it is expected
that Cry2A
should have no activity on hymenoptera at expected environmental
concentrations
Thus, it seemed reasonable to expect negligible risk. So, the
conclusion was
that the impact
of GM sugarcane expressing Cry2 protein on ant populations should be
discussed
further, taking into consideration the insect biology and all the
possible
exposition pathways. An appropriate testable risk hypothesis that is
linked to
a credible causal pathway leading to harm should be drawn. Without this
plausible hypothesis, the specificity of Cry2A may limit the relevance
and need
for further studies. Sugarcane Additional Issues Another
important issue when dealing with an asexually propagated crop such as
sugarcane is that the introduced trait is not easily passed to other
varieties
by the breeding programs. For sugarcane, it is even more difficult
because of
the complexity of the genome (D'hont
2005; Piperidis
and D'hont 2001). On the other
hand, there is a need for different varieties of sugarcane in order to
satisfy
seasonal operation needs from the mills and the different environmental
conditions that the culture is cultivated. All this combined creates a
challenge to regulators worldwide: how to evaluate new events of the
same crop
with the same construction? CTNBio’s Normative Resolution #5,
states that “GMO
that contains the same genetic construction used in a GMO of the same
species,
with a favorable technical approval for commercial release in Brazil,
shall
pass through a simplified analysis for its release, under
CTNBio’s judgment”.
Without precedents, it is uncertain what kind of data this simplified
analysis
will require. The conclusions at the meeting were that all the data
from risk
assessment of the first variety approved should be used with the
inclusion of the
following data:
These
GM varieties are intended to be planted in Brazil, and their main
products
(ethanol and sugar) are commodities that are intended to be used for
internal
consumption and for exportation. Thus, the question of how the
commercial
release of different events of the same construction in sugarcane is
going to
happen is not only a concern for Brazilian regulators but also for
regulators
from countries importing Brazilian GM sugarcane products. Although
the exported Brazilian ethanol is almost completely intended to be used
as
biofuel, sugar is a product for human consumption. So, this can also
raise
questions about the food safety of this product and it is a problem
that should
be formulated and tested. On the other hand, the presence of DNA or Bt
proteins
at sugar (and also at ethanol) is expected to be negligible due to
their high
processing. There
is a lot of knowledge on sugarcane biology that has not been published
and
remains with the professionals that advise sugarcane growers. It is
necessary
to mine this knowledge base in order to have a complete package of
information
for the risk assessment prior to the commercial release of a GM
sugarcane
variety. Conclusions
The
conclusions of the workshop include:
Acknowledgments
The authors thank the ILSI Research Foundation, ILSI Brasil, and EMBRAPA for their support of this workshop. The organizing committee is grateful for the financial contributions from CropLife International and Agricultural Biotechnology Stewardship Technical Committee (ABSTC). References
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